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TCC (summary)
Harvard Properties Inc. v. The King, 2024 TCC 139 -- summary under Shares
In finding that s. 160 applied to the transactions in light inter alia of the cash proceeds received by Harvard Properties exceeding the FMV of the Newco shares sold by it, Boyle J found (at para. 166) that Harvard Properties had failed to establish any value for the shares, stating (at para. 174): There appears to be little to no chance that any arm’s length party unrelated to these transactions would agree to accept, much less pay for, the HP Newco shares at the relevant time as the Newcos would moments in time later have no assets, no business, and the possibility of a significant liability for their roles in these transactions …. ...
TCC (summary)
Martin v. The King, 2024 TCC 153 -- summary under Salary Deferral Arrangement
. – whereas here the taxpayers had substantiated the existence of an RCA by obtaining an actuarial report to support the amount of contributions necessary to provide them with a reasonable pension on retirement. ...
TCC (summary)
Bérubé v. The King, 2023 TCC 12, aff'd 2025 CAF 112 -- summary under Business Source/Reasonable Expectation of Profit
. … Despite his unusual lifestyle and his propensity to ridicule his opponents, the appellant was a serious businessman. ...
TCC (summary)
Downtown Hockey League Ltd. v. The King, 2025 TCC 92 (Informal Procedure) -- summary under Subsection 152(3.4)
. … The same rationale applicable to income tax assessments must logically apply to CEWS determinations, namely, individual notices of determination may be appealed in a single notice of appeal without coalescing. ...
TCC (summary)
Lussier v. The Queen, 2000 DTC 1677 (TCC) -- summary under Subsection 104(13.1)
. … …[T]he letter…was an amendment to the estate's tax return and its effect was to amend the initial return. ...
TCC (summary)
Cartier House Care Centre Ltd. v. The Queen, 2015 TCC 278 -- summary under Section 13
II, s. 1 – home care service. ...
TCC (summary)
MacDonald v. The Queen, 2012 TCC 123, rev'd 2013 DTC 5091 [at 5982], 2013 FCA 110 -- summary under Subsection 245(4)
Although the transactions entailed surplus stripping, "it is doubtful whether in an integrated corporate/shareholder tax system, a surplus strip per se can be said to abuse the spirit and object of the Act " (para. 101). ...
TCC (summary)
Mariano v. The Queen, 2015 DTC 1209 [at at 1331], 2015 TCC 244 -- summary under Sham
See summaries under s. 118.1 – total charitable gifts and s. 104(1). ...
TCC (summary)
568864 B.C. Ltd. v. The Queen, 2014 TCC 373 -- summary under Ownership
") – earned management fees and rental fees from W.L. In 2003, the taxpayer lent $3.5 million to an arm's length supplier of specially prepared boards ("Interact") secured by patents held by Interact's principal ("Cable"). ...
TCC (summary)
568864 B.C. Ltd. v. The Queen, 2014 TCC 373 -- summary under Subsection 79.1(2)
") – earned management fees and rental fees from W.L. In 2003, the taxpayer lent $3.5 million to an arm's length supplier of specially prepared boards ("Interact") secured by patents held by Interact's principal ("Cable"). ...