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    FCTD
Richard v. MNR, 88 DTC 6239, [1988] 1 CTC 388 (FCTD)
Justice Dubé in the case of Director of Investigation & Research: the Competition Act, R.S.C. 1970, Chap.  ...
FCTD
Greiner v. The Queen, 81 DTC 5371, [1981] CTC 477 (FCTD), aff'd 84 DTC 6073, [1984] CTC 92 (FCA)
I cannot accept that evidence nor can I regard, as I was invited to do, the total amount of payment as representing compensation in lieu of damages. dent, this would produce a total amount of some $243,750 (ie, $75,000 39 + 12 $243,750.  ...
FCTD
Mendels v. The Queen, 78 DTC 6267, [1978] CTC 404 (FCTD)
As I appreciate the principle with respect to a finding of sham enunciated by Mr Justice Heald speaking for the Court of Appeal in the Leon case (supra) it was that while a company may be incorporated for the purposes which it was intended to be incorporated and pursued those purposes and therefore would not be a sham within the meaning of that word as laid down by Lord Diplock in Snook v London & West Riding Investments Ltd ([1967] 1 All ER 518 at 528) nevertheless such a management company may become a sham company if the agreement or transaction with that company lacks a bona fide purpose therefor.  ...
FCTD
West Hill Redevelopment Co. Ltd. v. The Queen, 91 DTC 5430, [1991] 2 CTC 83 (FCTD)
This accounting approach resulted in the plaintiff deducting from its income the following amounts in respect of its discount mortgage portfolio: 1977 $ 99,905 1978 $342,679 1979 $833,081 The Minister of National Revenue reassessed the plaintiff for the 1977 to 1979 taxation years.  ...
FCTD
Markin v. The Queen, 96 DTC 6483, [1996] 3 CTC 212 (FCTD)
.: — This action arises out of a reassessment made by the Minister of National Revenue (the “Minister”) on 20 March, 1985 in respect of the plaintiff’s 1982 taxation year.  ...
FCTD
Leasehold Construction Corp. v. The Queen, 95 DTC 5470, [1995] 2 CTC 188 (FCTD)
Even a land speculator can occasionally buy an investment property (S & S Properties Ltd. v.  ...
FCTD
Groupmark Canada Ltd. v. The Queen, 93 DTC 5179, [1993] 1 CTC 234 (FCTD)
The Queen, [1980] C.T.C. 57, 80 D.T.C. 6009, dealing with exchange rates, Addy, J. stated at pages 59-60 (D.T.C. 6011): The word “ payable” does not normally mean “paid”.  ...
FCTD
McKee v. The Queen, 77 DTC 5345, [1977] CTC 491 (FCTD)
I have searched several dictionaries including The Shorter Oxford English Dictionary, 3rd edition revised, Britannica World Language Dictionary, Funk & Wagnall’s New Standard Dictionary of the English Language, The Random House Dictionary of the English Language, The Living Webster Dictionary and Thorndike-Barnhard (American dictionary).  ...
FCTD
Thyssen Canada Ltd. v. The Queen, 84 DTC 6049, [1984] CTC 64 (FCTD)
Reference was also made in this judgment to the judgment of Lord Cooper in Lawrie v Muir, [1950] SC (J) 19 at 26 (which was quoted with approval by Cartwright, CJC in his dissent in Wray) which passage reads as follows: The law must strive to reconcile two highly important interests which are liable to come into conflict — (a) the interest of the citizen to be protected from illegal or irregular invasions of his liberties by the authorities, and (b) the interest of the state to secure that evidence bearing upon the commission of a crime and necessary to enable justice to be done shall not be withheld from courts of law on any mere formal or technical ground.  ...
FCTD
Merchant v. The Queen, 84 DTC 6215, [1984] CTC 253 (FCTD)
But subsection 248(1) provides that for the purpose of the Income Tax Act '. office ‘means’’ the position of an individual entitling him to a fixed or ascertainable stipend or remuneration and includes a judicial office, the office of a Minister of the Crown, the office of a member of the Senate or House of Commons of Canada, a member of the legislative assembly or a member of a legislative or executive council and any other office, the incumbent of which is elected by popular vote or is elected or appointed in a representative capacity and also includes the position of a corporation director;...  ...
