Canadian Corporation Sample Clauses

Canadian Corporation. The Purchaser is a “Canadian corporation” within the meaning of subsection 89(1) of the Tax Act.
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Canadian Corporation. Yamana is a “Canadian corporation” for purposes of the Tax Act.
Canadian Corporation. Agnico Eagle is a “Canadian corporation” for purposes of the Tax Act.
Canadian Corporation. Purchaser is a "Canadian corporation" within the meaning of the Tax Act. (oo) Business Practices. Since March 31, 2024, none of Purchaser or the Purchaser Subsidiaries nor, to the knowledge of Purchaser, any of its or their respective directors, executives, officers, representatives, agents or employees has: (i) used or is using any corporate funds for any illegal contributions, gifts, entertainment or other expenses relating to political activity that would be illegal; (ii) used or is using any corporate funds for any direct or indirect illegal payments to any foreign or domestic governmental officials or employees; (iii) violated or is violating any provision of the Corruption of Foreign Public Officials Act (Canada); (iv) has established or maintained, or is maintaining, any illegal fund of corporate monies or other properties; or (v) made any bribe, illegal rebate, illegal payoff, influence payment, kickback or other illegal payment of any nature.
Canadian Corporation. Genius is a “Canadian corporation” for the purposes of the Income Tax Act (Canada).
Canadian Corporation. In consideration for their mutual promises and covenants and the terms and conditions contained in the Agreement, CanTech hereby offers and Song hereby accepts employment with CanTech upon the terms and conditions set forth herein.
Canadian Corporation. At or before the Effective Time, the Purchaser will be a “taxable Canadian corporation” within the meaning of the Tax Act.
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Canadian Corporation. Argonaut is a "Canadian corporation" within the meaning of the Tax Act.
Canadian Corporation. Leagold is a “Canadian corporation” for purposes of the Tax Act.

Related to Canadian Corporation

  • U.S. Real Property Holding Corporation The Company is not and has never been a U.S. real property holding corporation within the meaning of Section 897 of the Internal Revenue Code of 1986, as amended, and the Company shall so certify upon Purchaser’s request.

  • Real Property Holding Corporation The Company is not and has never been a U.S. real property holding corporation within the meaning of Section 897 of the Internal Revenue Code of 1986, as amended, and the Company shall so certify upon Purchaser’s request.

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