Resident of Canada. The Issuer Trustee is a resident of Canada within the meaning of the Income Tax Act (Canada).
Resident of Canada. Company is not a "non-resident" of Canada within the meaning of the ITA and is not a "non-Canadian" within the meaning of the Investment Canada Act.
Resident of Canada. None of the Sellers is a non-resident of Canada for the purposes of the Income Tax Act (Canada).
Resident of Canada. N Real Estate is a “Canadian partnership” and NWS and 9354-7537 are not non-residents of Canada, in each case within the meaning of the Income Tax Act (Canada).
Resident of Canada. Purchaser is not a non-resident of Canada within the meaning of the Income Tax Act (Canada). 4.2.8
Resident of Canada. The YFFNLP is a resident of Canada for the purposes of the Income Tax Act (Canada). Each of the representations and warranties contained in this section 8.1 shall be deemed to be continually repeated by the YFFNLP at the time of each Advance.
Resident of Canada. Neither AMEC nor AMEC Americas is a non-resident of Canada for purposes of the Tax Act.
Resident of Canada. At the Closing Date, the Receiver is not a non-resident of Canada for purposes of the Income Tax Act (Canada).
Resident of Canada. FLCNKII is a resident of Canada for the purposes of the Income Tax Act (Canada). Each of the representations and warranties contained in this section 8.1 shall be deemed to be continually repeated by FLCNKII at the time of each Advance.
Resident of Canada. The CNPLP is a resident of Canada for the purposes of the Income Tax Act (Canada). Each of the representations and warranties contained in this section 8.1 shall be deemed to be continually repeated by the CNPLP at the time of each Advance.