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FCTD (summary)
Canada (Minister of National Revenue) v. Les Développements Béarence Inc., 2019 FC 22 -- summary under Subsection 231.7(4)
… [N]either the CRA nor this Court can impose the format in which this information must be provided to the CRA, as all the necessary information has already been provided. ...
Decision summary
Milne Estate (Re), 2019 ONSC 579 -- summary under Subsection 104(1)
Before setting this order aside and directing that the Certificates of Appointmentbe be issued, Marrocco ACJ stated (at paras 34-35) that a will (which “is an instrument by which a person disposes of property upon death”) may “contain a trust, but this is not a requirement for a valid will” and quoted with approval (at para. 37) the statement in Williams on Wills that “Although the title to the assets vests in the personal representative … the property comprised in residue is not held in trust for the beneficiary under the will so as to invest any equitable interest in him.” ...
FCA (summary)
Ark Angel Foundation v. Canada (National Revenue), 2019 FCA 21 -- summary under Paragraph 168(1)(b)
After confirming the decision of the Minister to revoke the registration of the Foundation under s. 168(1)(e) on the grounds of essentially no records substantiating the consulting fees (and in finding that the decision of the Minster to revoke under s. 168(1)(b) on the grounds that the consulting fees had not been established to satisfy the requirement for the Foundation to devote all of its resources either to charitable activities or as gifts to qualified donees, Woods JA stated (at paras. 53, 57): … The Appeals Directorate noted that most of the funds received and disbursed by the Foundation were to registered charities in which …[Mr. ...
Decision summary
Shallhorn v. Agence du revenu du Québec, 2019 QCCQ 449 -- summary under Paragraph 118.2(2)(l.2)
Such an interpretation goes against the purpose of the Act …. ...
Decision summary
Victoria Power Networks Pty Ltd v Commissioner of Taxation, [2019] FCA 77 -- summary under Nature of Income
In finding that the Customer Cash Contributions were ordinary income to the Distributors, Moshinsky J stated (at para. 165): As the Distributors’ businesses included connecting new customers to the electricity network, and as the Customer Cash Contributions were gains (in the sense that they were amounts derived) in respect of new connections, it follows that they constituted ordinary income …. ...
Decision summary
Fono v. Agence du revenu du Québec, 2018 QCCQ 10534 -- summary under Subsection 2(1)
Before finding that the taxpayer continued to reside in Quebec for his 2009 and 2010 taxation years, Pokomàndy JCQ stated (at paras. 69-70, TaxInterpretations translation): The Court is convinced … that since 2011 this project of going to work in Ontario in order to perfect his English has become a life project that materialized with the residence transfer to this location. ...
Decision summary
A Oy v. Veronsaajien oikeudenvalvontayksikkö, [2019] EUECJ C-410/17 (10 January 2019) (European Court of Justice (9th Chamber)) -- summary under Subsection 153(1)
Similarly, in the second (dismantling) case (paras. 57, 59: [T]he value of the performance of dismantling and waste disposal … must be regarded as equal to the amount that the purchaser, that is a demolition company, takes into account as a factor reducing the purchase price of the goods to be dismantled. ...
TCC (summary)
Gladwin Realty Corporation v. The Queen, 2019 TCC 62, aff'd 2020 FCA 142 -- summary under Paragraph (a)
Hogan J confirmed CRA’s application of s. 245(2) to reduce the taxpayer’s CDA by ½ the amount of the s. 40(3.1) capital gain, thereby generating Part III tax unless an s. 184(3) election was made. ...
TCC (summary)
Gladwin Realty Corporation v. The Queen, 2019 TCC 62, aff'd 2020 FCA 142 -- summary under Subsection 40(3.1)
Hogan J confirmed CRA’s application of s. 245(2) to reduce the taxpayer’s CDA by ½ the amount of the s. 40(3.1) capital gain. ...
Decision summary
Kyard Capital 2007 Inc. v. Agence du revenu du Québec, 2019 QCCQ 1617 -- summary under Subsection 15(1)
After noting that the description of the legal services provided had not been revealed to the ARQ on the grounds of privilege, Chalilfour JCQ stated (at paras. 133-135, TaxInterpretations translation): Not waiving professional privilege could certainly render the reversing of the presumption of validity of an assessment … more difficult. ...