2006 Ruling 2006-0191881R3 - Witholding Tax Exemption -- summary under Subsection 132(6)

Ruling that a guarantee given by an income fund of a loan made to an indirect "Finco" subsidiary of the Fund and of a loan made on similar terms by Finco to an indirect subsidiary general partnership of the Fund would not cause the Fund to fail to meet the requirements of s. 132(6)(b).

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d7 import status
Drupal 7 entity type
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Drupal 7 entity ID
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Extra import data
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