However, for taxation purposes, only capital redemption business written before 1 January 1938 is treated as non-life assurance business.
2.
Says Crinage, ` From the fundmanager's perspective, the last thing he wants is to have to sell stocksto meet capital redemption.
3.
Capital redemption business, which is business written for a premium in exchange for a payment of an annuity over a period of, say, 99 years, is also long-term non-life business.
4.
The issued capital shall be diminished by the cancellation of the HICOM shares bought and the amount by which the company's issued capital is diminished shall be transferred to capital redemption.
5.
Capital redemption business written since 31 December 1937 has been treated as though it were BLAGAB from the first accounting period of a company ending on or after 1 July 1999 . Before then, it was treated as a separate business taxed on an I minus E basis.
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