Search - 制暴无限杀机 下载

Results 2641 - 2650 of 2761 for 制暴无限杀机 下载
TCC (summary)

Mady v. The Queen, 2017 TCC 112 -- summary under Subparagraph 69(1)(b)(i)

. The [wife and children] acquired the shares from the Appellant for a purchase price of $0.01 per share and immediately thereafter sold them for a cash purchase price of $8,645 per share. ...
TCC (summary)

Grant v. The Queen, 2017 TCC 121 -- summary under Paragraph 227.1(2)(c)

Finally, Smith J found (at para 58): As indicated… in Kyte there may be discrepancies as the amounts owed for source deductions may be fluid. ...
FCA (summary)

Canada v. Callidus Capital Corporation, 2017 FCA 162, rev'd 2018 SCC 47 -- summary under Subsection 222(1.1)

. Accordingly, Callidus was liable to the Crown under s. 222(3) for its pre-bankruptcy breach of the s. 222(1) deemed trust. ...
TCC (summary)

Aon Inc. v. The Queen, 2017 TCC 166 -- summary under Improvements v. Repairs or Running Expense

. However, the new replaced area of the roof, half the roof, is inseparable from the floor of the garage below it and from the entire garage. ...
TCC (summary)

Cassan v. The Queen, 2017 TCC 174 -- summary under Subsection 143.2(12)

. of which 3.75% of p.a. was required to be paid annually in cash (“cash-pay interest”) and with the balance was capitalized each year (“capitalized interest”). ...
Decision summary

Google Ireland Ltd. v. France (2017), No. 1505113/1-1 (Tribunal Administratif de Paris) -- summary under Article 5

The Court concluded (at para. 16, TaxInterpretations translation): [I]f SARL Google France had the character of dependent agent within the meaning of (c) of paragraph 9 of Article 2 of the French-Irish Tax Convention, it nonetheless did not exercise, in the years under litigation, the power to bind Google Ireland Limited in commercial relations respecting the transactions constituting the activities of the latter corporation; it follows from this that the Service was incorrect in considering that Google Ireland Limited exercised, through a permanent establishment that was formed by SARL Google France, an activity in France within the meaning of section 182 of the General Income Tax Code …. ...
Decision summary

Lewski v Commissioner of Taxation, [2017] FCAFC 145 -- summary under Subsection 104(24)

It follows that, assuming that each ‘variation of income’ resolution was authorised by the relevant trust deed, the applicant was not “presently entitled” to a share of the net income of the trust estate for [that] year…. ...
TCC (summary)

Huntly Investments Limited v. The Queen, 2017 TCC 255 -- summary under Specified Investment Business

After rejecting the equivalence of other services of PIC and WSL, he concluded (at para 93): [I]t has not shown that, in the absence of the services provided by WSL and PIC, it would have required more than five full-time employees throughout the years in issue it carried on a specified investment business in those years. ...
Decision summary

1068754 Alberta Ltd., trustee of DGGMC Bitton Trust v. ARQ, 2018 QCCA 8 (Quebec Court of Appeal), aff'd 2019 SCC 37 -- summary under Subsection 231.2(1)

Before dismissing DGGMC’s appeal, she stated (at paras. 51-53, Tax Interpretations translation): Here we are not concerned with a seizure outside of Quebec which, it is true, could require the seizing party to approach an authority of the foreign State with a view to obtaining its collaboration in order to proceed. ...
Decision summary

Kretztechnik AG v Finanzamt Linz, [2005] EUECJ C-465/03, [2006] BVC 66 (ECJ (1st Chamber)) -- summary under Subsection 169(1)

Thus, the right to deduct VAT charged on the acquisition of input goods or services presupposes that the expenditure incurred in acquiring them was a component of the cost of the output transactions that gave rise to the right to deduct [36] In this case, in view of the fact that, first, a share issue is an operation not falling within the scope of the [Directive] and, second, that operation was carried out by Kretztechnik in order to increase its capital for the benefit of its economic activity in general, it must be considered that the costs of the supplies acquired by that company in connection with the operation concerned form part of its overheads and are therefore, as such, component parts of the price of its products. ...

Pages