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FCA (summary)

Devon Canada Corporation v. Canada, 2015 FCA 214 -- summary under Subsection 169(2.1)

. CRA…responded to Devon in relation to the merits of its submissions with respect to paragraphs 20(1)(b) and 20(1)(e)… and…in the notices of confirmation, stated that the basis of the objection included the argument that the predecessors of Devon should be entitled to a deduction under paragraph 20(1)(b)…. ...
TCC (summary)

Barejo Holdings ULC v. The Queen, 2015 DTC 1216 [at at 1405], 2015 TCC 274, aff'd on other grounds 2016 FCA 304 -- summary under Section 8.1

. the Notes themselves are expressly to be governed by and interpreted and enforced in accordance with the laws of England…. ...
Decision summary

Dam Investments Inc. v. Ontario (Finance), 2007 ONCA 527 -- summary under Subsection 3(15)

In finding that the deferral was not available, Feldman J.A. stated (at para. 16): The deeming provision in subsection 1(3) of the Securities Act states how "control" is defined for the purposes of the LTTA on the basis of majority voting rights. ...
FCA (summary)

AgraCity Ltd v. Canada, 2016 DTC 5006 [at 6525], 2015 FCA 288 -- summary under Section 82

Canada, 2016 DTC 5006 [at 6525], 2015 FCA 288-- summary under Section 82 Summary Under Tax Topics- Other Legislation/Constitution- Federal- Tax Court of Canada Rules (General Procedure)- Section 82 inconsistent assessments of related taxpayers A Barbados corporation reported substantial profits from the sale of a herbicide to Canadian farmers, and deducted amounts paid to a non-arm’s length Canadian corporation (AgraCity which was the taxpayer in the case) as service fees. ...
TCC (summary)

Crooks v. The Queen, 2016 TCC 52 (Informal Procedure) -- summary under Recipient

Richards’ guarantee and as not resulting in any interest in the condo also being supplied by the builder to Ms. ...
Decision summary

Columbia Sportswear Co. v. Director of Income Tax, (2015) W.P. No. 39548/2012 (T-IT) (Karnataka High Court) -- summary under Article 5

Kundahar J, speaking for a panel of two, found that Columbia did not have a permanent establishment, stating (at para. 14): If the petitioner has to purchase goods for the purpose of export, an obligation is cast…to see that the goods…[are] acceptable to the customer outside India…Otherwise, the goods…may not find a customer outside India…[A]ll those acts are necessary to be performed …before export of goods…That liaison office is established only for the purpose of carrying on business of purchasing goods for the purpose of export and all that activity also falls within the meaning of the words “collecting information for the enterprise. ...
Decision summary

UBS AG v Commissioners for HMRC; DB Group Services (UK) Ltd v. Commissioners for HMRC, [2016] UKSC 13 -- summary under Shares

. It is however also necessary to take account of the call options purchased by ESIP out of the sum paid by UBS for its subscription for the shares. ...
TCC (summary)

Korfage v. The Queen, 2016 TCC 69 (Informal Procedure) -- summary under Subsection 261(2)

. The Minister has discretion in the application of an appropriate exchange rate…and chose to use the annual average exchange rate for 2010 of 1.0562. ...
TCC (summary)

Standard Life Assurance Company of Canada v. The Queen, 2015 TCC 138 -- summary under Subsection 147(3)

The Queen, 2015 TCC 138-- summary under Subsection 147(3) Summary Under Tax Topics- Other Legislation/Constitution- Federal- Tax Court of Canada Rules (General Procedure)- Section 147- Subsection 147(3) Crown offer of better treatment for one of two years The Crown had made a settlement offer to the taxpayer under which the taxpayer would conced that it was not carrying on an insurance business in Bermuda in 2006, but the Crow would concede that the taxpayer was carrying on business in Bermuda in 2007 and each party would bear its own costs. ...

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