FIES

AcronymDefinition
FIESFamily Income and Expenditure Survey
FIESFederazione Italiana Esercizi Spirituali (Italian)
FIESForschen in Eigener Sache (German: Research on His Own Behalf)
FIESFellow of the Institution of Engineers and Shipbuilders in Scotland
FIESFullerton Interfaith Emergency Services, Inc. (California)
References in classic literature ?
From the rabble have we gone out of the way, from all those bawlers and scribe-blowflies, from the trader-stench, the ambition-fidgeting, the bad breath--: fie, to live among the rabble;
8) Subject to certain transitional rules, the "designated cost" will generally be equal to the sure of the participating interest's cost and past amounts included in income under the FIE Rules in respect of the participating interest.
The FIE Rules may also result in FAPI to a CFA of a Canadian taxpayer, as a CFA is deemed to be a Canadian taxpayer for purposes of applying the FIE Rules.
There are generally three classes of "exempt taxpayers" excluded from the FIE Rules: recent immigrants to Canada (resident in Canada for up to 60 months), most registered pension plans (15) and other persons exempt from Part I tax, (16) and certain Canadian resident trusts in which each beneficiary is exempt from tax.
An NRE is generally considered to be a FIE (18) at the end of a taxation year of the NRE unless either of the following tests is satisfied:
25, 1994, the State Tax Bureau announced that goods exported by FIEs will be exempt from the VAT (instead of zero-rated under the VAT law).
The State Tax Bureau also issued a notice in October 1994 explaining that its no-refund policy should contribute to its long-term goal of equalizing the tax burden of FIEs and China's domestic enterprises.
This could make finding a Chinese joint-venture partner more difficult, because the 55-percent tax rate assessed on Chinese companies gave them a strong incentive to form joint partnerships to qualify for the 33-percent rate levied on FIEs.
An FIE is a Chinese-foreign equity joint venture, a Chinese-foreign cooperative enterprise or a wholly foreign-owned enterprise established in China.
Subject to the application of an anti-avoidance rule for "tracking interests" (discussed below) and "foreign insurance policies," the FIE Rules apply to a Canadian taxpayer holding a "participating interest" in a "non-resident entity" (NRE) where: (6)
7) Subject to certain transitional rules, the "designated cost" will generally be equal to the sum of the participating interest's cost and past amounts included in income under the FIE Rules in respect of the participating interest.
The FIE Rules may also result in FAPI to a CFA of a Canadian taxpayer, since a CFA is deemed to be a Canadian taxpayer for purposes of applying the FIE Rules.