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SCC

Lavallee, Rackel & Heintz v. Canada (Attorney General); White, Ottenheimer & Baker v. Canada (Attorney General); R. v. Fink, 2002 DTC 7267, 2002 SCC 61, [2002] 3 SCR 209

Entreprises Végo Ltée, [1997] 2 S.C.R. 299.   Statutes and Regulations Cited   Canadian Charter of Rights and Freedoms, ss. 1  , 7  , 8  , 10   (b), 11   (b).   Constitution Act, 1982, s. 52  .   Criminal Code, R.S.C. 1985, c. C-46, ss. 487  , 488.1   [ad. c. 27 (1st Supp.), s. 71  ].   Income Tax Act, R.S.C. 1985, c. 1 (5th Supp  .), ss. 232  , 239(1)   (a), (d).     ...
SCC

In re Income Tax Act (Manitoba) / Thos. Jackson & Sons, Ltd. v. The Municipal Commissioner, [1936] SCR 616

In re Income Tax Act (Manitoba) / Thos. Jackson & Sons, Ltd. v. The Municipal Commissioner, [1936] S.C.R. 616 Supreme Court of Canada In re Income Tax Act (Manitoba) / Thos. ... S. 4 (p) (enacted in 1930. c. 22) provided that “profits of a * * * joint stock company * * * accumulated prior to and undistributed at” December 31, 1929, be not liable to taxation under s. 8 (4). ... Solicitors for the appellant: Johnston, Major, Finlayson & Fraser. ...
SCC

Montreal Coke and Manufacturing Co. v. Minister of National Revenue / Montreal Light, Heat & Power Consolidated v. The Minister of National Revenue, [1942] SCR 89

Minister of National Revenue / Montreal Light, Heat & Power Consolidated v. ... The particulars of the disbursements made by the Company in connection with this operation were as follows: (i)    Interest on new bonds from September 16, 1935,         to December 31, 1935, until when interest had to         be paid on both the old and new bonds $ 23,207 54 (ii)    Various expenses on retiring the old bonds and         issuing the new bonds     12,484 92 (iii)   Discount on issue of new bonds    28,000 00 (iv)   Premium paid upon retirement of issue of old         bonds    69,140 00 (v)    Exchange premium paid on retirement of old         bonds    36,744 81   $169,577 27 The first two items of expenses mentioned above were charged directly against the earnings for 1935. ...
QCSC decision

. - Minister of National Revenue v. Samuel M. Ogulnik & Co. LTD, [1928-34] CTC 270

.- Minister of National Revenue v. Samuel M. Ogulnik & Co. LTD, [1928-34] CTC 270 MARTINEAU, J. ... It has been held that the making of wearing apparel by machines driven by electric power is " a manufacturing purpose. Idem Note 1. ... No doubt, speaking in the broadest sense, a 4 manufacturer is one who makes or fabricates anything for use, and that within the literal definition of manufacturer’ would come a tailor who works cloths into suits for wear. ...
EC decision

Minister of National Revenue v. Howson & Howson Limited and Howson & Howson Co. (Cargill) Limited, [1970] CTC 36, 70 DTC 6055

Howson & Howson Limited and Howson & Howson Co. (Cargill) Limited, [1970] CTC 36, 70 DTC 6055 CATTANACH, J. ... Howson 900 William F. Howson (a son of W. Fred) 900 Douglas Howson (a son of W. ... These three companies, Howson & Howson Limited, Howson & Howson (Cargill) Limited and Howson & Howson (Wingham) Limited carried on business until 1956. ...
MKB decision

In Re the Trustee Act >>in Re Garbut Estate, [1951] CTC 261

The testator directed that his 1938 Plymouth automobile ‘‘be sold for estate;’’ that his hunting equipment, including his shooting lodge, be sold and I Proceeds to be applied in executors’ fees. He also gave certain specific bequests, among which were the following: ‘‘ My personal effects such as jewellery to be given one to each, W. ... Bower & Wm. Hamilton.’’ The will also contained the following: "‘All money remaining after the above bequests have been paid, I bequeath [sic] to Mrs. ... The answer to the first question is ‘‘ Yes’’ following Perrin v. Morgan, [1943] A.C. 399; 112 L.J. ...
QCQB decision

The North British & Mercantile Fire & Life Insurance Co. v. Lambe, Es-Qualite, [1917-27] CTC 19

The North British & Mercantile Fire & Life Insurance Co. v. Lambe, Es-Qualite, [1917-27] CTC 19 Dorion, C.J. ... Duke of Newcastle & Morris, L.R., 14 H.L. 662; Fryer & Morland, L.R., 3 Ch. ... Jacques & Belisle, and Cushing & Dupuy, 5 H.L. & P.C. 136; 26 L.C.J. 170; 5 Leg. ...
SKQB decision

Polyco Window Manufacturing Limited v. The Prudential Assurance Company Limited and Berlinex Polymers Inc., Equibuilt Window Systems Inc., K & K Glass Limited, the Minister of National Revenue, Debonair Industries (1987) Limited, Advance Door Systems Limited, Thompson Plastics Limited, 302602 Alberta Limited, C/O A.B.P. Aluminum Building Products, Western Profiles Limited, Moose Jaw Sash & Door Company (1963) Limited and the Director of Labour Standards, [1994] 2 CTC 399

Indeed, Dunlop, in his text Creditor-Debtor Law in Canada (Toronto: Carswell, 1981), stated at page 428 that: ".. ... Harris & Craske (1915), 8 W.W.R. 514, 22 D.L.R. 694 (Sask. C.A.); Randall v. ... Disbursing funds These claims were proved at the hearing: Berlinex $ 91,210.54 Equibuilt $ 91,128.00 K & K Glass $ 61,457.65 Revenue Canada $ 33,108.27 Debonair $ 24,717.00 Advance Door $ 21,145.26 Thompson Plastics $ 18,729.01 302602 Alberta Ltd. $ 11,748.00 Western Profiles $ 11,038.55 Moose Jaw Sash $ 7,438.00 Labour Standards $ 6,000.00 In summary, the $179,500 shall be disbursed as follows: First, to Revenue Canada $ 33,108.27 Second, to The Director of Labour Standards $ 6,000.00 Third, to Advance Door on its assignment date February 25, 1992 $ 21,145.26 Fourth, to the sheriff, the balance for distribu tion pursuant to the Creditors' Relief Act $119,246.47 Funds otherwise payable to Advance shall remain in Court to the credit of the action between Advance and Polyco, until such time as that defended lawsuit is resolved. ...
T_Rev_B decision

Allied Vegetable Farms (Kingsville) Ltd, Edward Remark & Sons LTD and Frank Remark & Son LTD v. Minister of National Revenue, [1972] CTC 2264, 72 DTC 1230

Allied Vegetable Farms (Kingsville) Ltd, Edward Remark & Sons LTD and Frank Remark & Son LTD v. ...
BCSC decision

In Re: Succession Duty Act >>in Re : Fisher Estate, [1949] CTC 42

The Succession Duty Department of the province has notified her that it proposes to value the interest of the deceased in this income at $156,666.60, arrived at as follows: ‘* Valuation of Deceased’s interest one-third of annual rental based on the age of the youngest life tenant, age 30—10,000 x 17.4074 $174,074.00 "‘Less overall allowance of 10% to cover all contingencies outlined in Mr. ... Although the proposition put to me is that I should value ‘‘the particular future estate with which this application deals, it is suggested that 4 it is the existence of the interest in question as one of the items of property vested in the deceased at the time of her death that raises the first difficulty’’. ...

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