Search - 包建铎违纪违法案件以案促改以案促治专题组织生活会 个人对照检查
Results 2561 - 2570 of 2769 for 包建铎违纪违法案件以案促改以案促治专题组织生活会 个人对照检查
TCC (summary)
Magren Holdings Ltd. v. The Queen, 2021 TCC 42, aff'd on other grounds 2024 FCA 202 -- summary under Sham
These transactions depended in part on the appellants being considered to have acquired units of an income fund ("FMO") from another income fund ("TOM") (which in turn had purportedly acquired the FMO units from an RRSP in consideration for issuing TOM units to it) at a cost equaling the units’ FMV, followed immediately by a distribution to them of capital gains that had been realized by FMO – with that distribution not reducing the ACB of their units by virtue of s. 53(2)(h)(i.1)(A) and (B)((I). ...
TCC (summary)
Magren Holdings Ltd. v. The Queen, 2021 TCC 42, aff'd on other grounds 2024 FCA 202 -- summary under Subsection 184(3)
These transactions depended in part on the appellants being considered to have transferred the acquired units of an income fund (“FMO”) at a cost equaling the units’ FMV followed immediately by a distribution to them of capital gains that had been realized by TOM – with that distribution not reducing the ACB of their units by virtue of s. 53(2)(h)(i.1)(A) and (B)((I). ...
Decision summary
Agence du revenu du Québec v. Cristofaro, 2021 QCCA 1025 -- summary under Section 118.9
Before confirming the ARQ view (and reversing the decision below), the Court noted that the daughter was not subject to Quebec income tax, referred to the Oceanspan decision as being “particularly illuminating” (para. 44, TaxInterpretations translation), and further stated (at para. 45): The Oceanspan decision was recently cited … in the Marino decision. ...
Decision summary
Pavages Vaudreuil Ltée v. Agence du revenu du Québec, 2021 QCCQ 3890 -- summary under Paragraph 1104(9)(e)
(c) exclusion also did not apply, Bourgeois JCQ stated (at para. 44, TaxInterpretations translation): The acquired goods were used exclusively for the handling of materials already collected by the cable excavator, in the context of operations necessary for washing, sorting and crushing and then stacking the various products intended either to be sold to third parties (as to 73.3%) or to be used by the plaintiff (as to 26.67%) …. ...
Decision summary
Nadeau v. Agence du revenu du Québec, 2021 QCCQ 4638 -- summary under Retiring Allowance
. … The ARQ correctly argues that it is undisputed in several respects that the award in question was intended to compensate the plaintiffs for an injury directly resulting from the loss of their employment. ...
FCTD (summary)
Tellza Inc. v. Canada (National Revenue), 2021 FC 853 -- summary under Subsection 288(1)
After having noted that the word “document” (used in s. 288(1)) was defined in s. 123(1) to include “a record” which, in turn, was defined to include “any other thing containing information, whether in writing or in any other form ” (her emphasis), she also rejected (at para. 22) the contention of Tellza that “the request for records in an electronically readable format, along with the system administrator’s user ID and password, where applicable, falls outside the scope of the inspection power in the ETA s 288(1).” ...
TCC (summary)
9267-9075 Québec Inc. v. The Queen, 2020 TCC 53 -- summary under Subsection 232(1.1)
Before concluding that 9267 was not entitled to the s. 231(1) credit, D’Auray J stated (at para. 42, TaxInterpretations translation): … 9267 did not remit GST on the taxable supply, i.e., on the sale of its domain names to 9210, when it filed its return. ...
TCC (summary)
Odette (Estate) v. The Queen, 2021 TCC 65 -- summary under Paragraph 118.1(13)(c)
. … Parliament does not want to grant a tax credit where the donor is not impoverished and the charity is not enriched. ...
Decision summary
Hudson’s Bay Company v. OMERS Realty Corporation , 2016 ONCA 113 -- summary under Clause 149(1)(o.2)(iii)(B)
In the case of a lease, there can be no assignment of the lease to the limited partnership – it must be assigned to the general partner. ...
TCC (summary)
Gaz Métropolitain Inc. v. R., [1999] 2 CTC 2116, 98 DTC 1751, 1998 CanLII 227 -- summary under Paragraph 88(1.1)(e)
In finding that, in those post-wind-up year, GMI was continuing to carry on the GNC business, Archambault J stated: … GNC’s primary purpose was to sell natural gas, and incidentally to supply services of converting vehicles to natural gas. ...