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SCC
Goodyear Tire & Rubber Co. of Canada Ltd. et al. v. T. Eaton Co. Ltd. et al., 56 DTC 1060, [1956] SCR 610
Goodyear Tire & Rubber Co. of Canada Ltd. et al. v. T. Eaton Co. ... Eaton Co.: Gowling, MacTavish, Osborne & Henderson. Solicitors for Simpsons-Sears Ltd.: Tory, Miller, Thom-son, Hicks, Arnold & Sedgewick. ... Solicitors for General Tire & Rubber Co.: Osler, Hoskin & Harcourt. ...
SCC
International Iron & Metal Co. Ltd. v. Minister of National Revenue, 72 DTC 6205, [1972] CTC 242, [1974] SCR 898, aff'g 69 DTC 5445, [1969] CTC 668 (Ex Ct)
International Iron & Metal Co. Ltd. v. Minister of National Revenue, 72 DTC 6205, [1972] CTC 242, [1974] S.C.R. 898, aff'g 69 DTC 5445, [1969] CTC 668 (Ex Ct) Supreme Court of Canada International Iron & Metal Co. ... Ministre du Revenu National, [1974] S.C.R. 898 Date: 1972-05-01 International Iron & Metal Co. ... [1] [1967] S.C.R. 223, at p. 227. [2] [1968] S.C.R. 193, at p. 197. ...
SCC
Price (Nfld.) Pulp & Paper Ltd. v. The Queen, [1977] 2 SCR 36
Pulp & Paper Ltd. v. The Queen, [1977] 2 S.C.R. 36 Supreme Court of Canada Price (Nfld.) Pulp & Paper Ltd. v. The Queen, [1977] 2 S.C.R. 36 Date: 1976-10-05 Price (Nfld.) ... Solicitors for the appelants: Gowling & Henderson, Ottawa. Solicitor for the respondent: D.S. ...
SCC
Stewart & Morrison Ltd. v. Minister of National Revenue, 72 DTC 6049, [1972] CTC 73, [1974] S.C.R. 477
Stewart & Morrison Ltd. v. Minister of National Revenue, 72 DTC 6049, [1972] CTC 73, [1974] S.C.R. 477 Judson, J (all concur):—The issue in this appeal is whether the appellant taxpayer, Stewart & Morrison Limited, in computing its income for the fiscal period ending June 30, 1966, is entitled to deduct as an expense an amount of $72,345. ... The money was lost and the losses were capital losses to Stewart & Morrison Limited. ... The case of L Berman & Co Ltd v MNR, [1961] CTC 237, relied upon by the appellant in this case, is, in my opinion, not in point. ...
SCC
The King v. Gas & Oil Products Ltd., [1948] SCR 215
Gas & Oil Products Ltd., [1948] S.C.R. 215 Supreme Court of Canada The King v. Gas & Oil Products Ltd., [1948] S.C.R. 215 Date: 1948-04-13 His Majesty The King On The Information Of The Attorney-General Of Canada (Plaintiff) Appellant; and Gas And Oil Products, Limited (Defendant) Respondent. 1948: February 25, 26; April 13. ...
SCC
Montreal Light, Heat & Power Consolidated v. Minister of National Revenue, [1942] CTC 1, [1941-1946] DTC 535
He adds:— " " It is impossible, I think, to treat the decision of the House of Lords as laying down that capital, which is used as circulating capital, is not capital within the meaning of Sub-rule (f). ... The Montreal Light, Heat & Power company estimates that annual sum in its own case at $303,119.18. ... The words " 4 the income” must, I think, mean the assessable income of the taxation period. ...
SCC
Pfizer Corporation and Pfizer Company Limited — La Compagnie Pfizer Limitee v. Her Majesty the Queen, [1966] CTC 194, 66 DTC 5172
Pfizer Corporation and Pfizer Company Limited — La Compagnie Pfizer Limitee v. ... It was made and baked for Pfizer by Christie, Brown & Co. Limited, who are bakers. ... This is described as ‘‘a bulking agent ” without nutritional value which swells in the stomach and gives a feeling of fullness. ...
SCC
Thomas Jackson & Sons, Ltd. v. Municipal Commissioner, [1935-37] CTC 166
Thomas Jackson & Sons, Ltd. v. Municipal Commissioner, [1935-37] CTC 166 Hudson, J. ... The following shall not be liable to taxation hereunder: ***** (p) profits of a corporation or joint stock company other than a personal corporation accumulated prior to and undistributed at the 31st day of December, 1929, shall not be liable to taxation under subsection (4) of section 8 of ‘‘The Income Tax Act’’. ...
SCC
A Janin & Compagnie Limitée v. Minister of National Revenue, [1973] CTC 354, 73 DTC 5267
A Janin & Compagnie Limitée v. Minister of National Revenue, [1973] CTC 354, 73 DTC 5267 Le Juge en chef (oralement au nom de la Cour):—Il ne sera pas nécessaire d’entendre les procureurs de l’intimé. ...
SCC
Furness, Withy & Company Limited v. Minister of National Revenue, 68 DTC 5033, [1968] CTC 35, [1968] SCR 221
Furness, Withy & Company Limited v. Minister of National Revenue, 68 DTC 5033, [1968] CTC 35, [1968] S.C.R. 221 ABBOTT, J. ... This raises two questions, namely: (1) Whether income which the appellant earned in Canada in its character as a general agent or stevedore is "" income.... earned in Canada from the operation of a ship’’ or "‘profits which.. ...