Search - 三河市 市委书记 现任
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TCC (summary)
Data Kinetics Ltd. v. The Queen, 98 DTC 1877, [1998] 4 CTC 2618 (TCC) -- summary under Scientific Research & Experimental Development
The Queen, 98 DTC 1877, [1998] 4 CTC 2618 (TCC)-- summary under Scientific Research & Experimental Development Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Scientific Research & Experimental Development The taxpayer, which was engaged in researching and developing advanced data management and memory management software systems for large mainframe computers, and which had adopted the proxy method for calculating SR&ED expenditures, was able to include in s. 37(8)(a)(ii)(B)(I) the cost of a dedicated telephone line that was used to pass instructions and data from the taxpayer's employees in Ottawa (none of whom left Canada) to the staff of an independent company in Birmingham, Alabama whose mainframe computer the taxpayer was leasing for testing purposes. ...
TCC (summary)
Hill v. The Queen, 2002 DTC 1749 (TCC) -- summary under Payment & Receipt
The Queen, 2002 DTC 1749 (TCC)-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt funds to support cheques Miller T.C.J. noted that with respect to the situation where the taxpayer, which owed approximately $60 million in accrued interest, paid $60 million to the creditor at the same time that the creditor paid $60 million to the taxpayer as an addition to the advances owing by the taxpayer, that he had difficulty identifying any moment in time at which the taxpayer did not owe $60 million to the creditor. ...
TCC (summary)
Hypercube Inc. v. The Queen, 2015 DTC 1135 [at at 859], 2015 TCC 65 (Informal Procedure) -- summary under Scientific Research & Experimental Development
The Queen, 2015 DTC 1135 [at at 859], 2015 TCC 65 (Informal Procedure)-- summary under Scientific Research & Experimental Development Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Scientific Research & Experimental Development development of code analysis software entailed standard techniques Lamarre ACJ found that the taxpayer's development of code analysis software for websites was not experimental development. ...
TCC (summary)
Phillips v. The Queen, 95 DTC 194, [1994] 2 CTC 2416 (TCC) -- summary under Payment & Receipt
The Queen, 95 DTC 194, [1994] 2 CTC 2416 (TCC)-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt book entry did not give rise to receipt In finding that the redesignation of a 'bonus payable' to 'due to shareholder' did not constitute the receipt of an amount giving rise to income in the taxpayer's hands, Bowman TCJ. stated (at p.196): "Nor can I accept that the mere bookkeeping entry of moving the amount of bonus owing to Mr. ...
TCC (summary)
A & W TradeMarks Inc. v. The Queen, 2005 TCC 493 (Informal Procedure) -- summary under Subsection 169(1)
A & W TradeMarks Inc. v. The Queen, 2005 TCC 493 (Informal Procedure)-- summary under Subsection 169(1) Summary Under Tax Topics- Excise Tax Act- Section 169- Subsection 169(1) fees incurred in connection with parent’s issuing units, with proceeds used in the registrant’s business, were eligible The appellant, which became a wholly-owned subsidiary of a new income fund (the “Fund”), incurred $78,000 in fees directly to an investment dealer, law firms and a printing company in connection with the IPO of the Fund. The $83M proceeds of the IPO were used by the Fund to subscribe for debt and equity of the appellant which, in turn, used those proceeds to acquire trade marks from another A & W company for licensing back to that company. ...
TCC (summary)
Markou v. The Queen, 2016 TCC 137 -- summary under Payment & Receipt
The Queen, 2016 TCC 137-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt funds in leveraged donation scheme essentially advanced by lender directly to charity A Quistclose trust (as described by C. ...
TCC (summary)
Borealis Geopower Inc. v. The Queen, 2018 TCC 189 (Informal Procedure) -- summary under Payment & Receipt
The Queen, 2018 TCC 189 (Informal Procedure)-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt taxpayer had "physically" received govenment assistance funds with freedom to transfer Although all the conditions for the receipt of government assistance had not yet been (and never were) satisfied, Campbell J found that the taxpayer had “physically acquired” the funds in question through depositing a cheque to a trust account of its own formation and thereafter disbursed the funds out of the account to fund its project without any practical hindrance by the government foundation in question (which appeared to have waived the condition referred to above). ...
TCC (summary)
Black v. The Queen, 2019 TCC 135 -- summary under Payment & Receipt
The Queen, 2019 TCC 135-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt advance on another party’s behalf established a loan The taxpayer (“Black”) controlled both Hollinger Inc. ...
TCC (summary)
National R&D Inc. v. The Queen, 2020 TCC 47, aff'd 2022 FCA 72 -- summary under Scientific Research & Experimental Development
The Queen, 2020 TCC 47, aff'd 2022 FCA 72-- summary under Scientific Research & Experimental Development Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Scientific Research & Experimental Development programming costs were not SR&ED The taxpayer (“National”), which provided consulting services to clients, claimed to have made SR&ED expenditures of $68,029 and generated investment tax credits of $23,810 in connection with developing a computer program that would automate aspects filing SR&ED claims with the CRA through a web-based, cross-platform and cross-browser framework to track claimable SR&ED projects. ...
TCC (summary)
Richter & Associates Inc v. The Queen, 2005 TCC 92 -- summary under Subsection 141.01(2)
Richter & Associates Inc v. The Queen, 2005 TCC 92-- summary under Subsection 141.01(2) Summary Under Tax Topics- Excise Tax Act- Section 141.01- Subsection 141.01(2) allocation between costs incurred by trustee in bankruptcy for bankrupt financial institution to provide litigation services to creditors, and costs incurred in connection with its action qua trustee The trustee in bankruptcy ("Richter") for Castor Holdings Ltd. ... Therefore, the costs of the litigation support services that the Estate enjoyed in prosecuting its own claim against C&L would not qualify for ITCs. … However, the portion of the services and properties in question that was acquired for the purpose of prosecuting the claims of the Participating Creditors would be considered to have been acquired in the course of commercial activities. … The allocation by the Estate of the use of its inputs between its taxable supplies and its other activities (exempt supplies) appears to me to be a fair and reasonable one and it complies with subsection 141.01(5).... ...