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TCC (summary)
3792391 Canada Inc. v. The King, 2023 TCC 37 (Informal Procedure) -- summary under Subsection 227(8)
I therefore find that the Minister was justified in assessing the penalty pursuant to section 227(8) …. ...
TCC (summary)
Garg Investments Inc. v. The King, 2023 TCC 67 (Informal Procedure) -- summary under Paragraph 256.2(3)(a)
. … Similar to the Cheema decision, it is the relationship between the purchaser and the seller that is relevant to the entitlement to the NRRPR rebate, not the relationship between the co-purchasers. ...
FCA (summary)
Canada v. Bowker, 2023 FCA 133 -- summary under Subsection 152(1)
Bowker, 2023 FCA 133 under s. 162(7)(b), s. 220(3.1), Statutory interpretation- noscitur a sociis, General concepts – judicial comity and Rule 147(3)(d). ...
QCQC summary
Morin v. Agence du revenu du Québec, 2023 QCCQ 2406 -- summary under Income-Producing Purpose
. … It seems obvious that a reasonable businesswoman, considering only her commercial interests, would not have committed herself to such an expense. ...
Decision summary
Gaudreau v. The King, 2023 TCC 115 -- summary under Solicitor-Client Privilege
Before finding that the memo was potentially relevant and should be produced, St-Hillaire J noted that there was no accountant-client privilege, stating (at para. 59, TaxInterpretations translation): According to the appellant, if such advice were to be systematically disclosed, the quality of communication between accountants and their clients, and compliance with the Act would be reduced …. ...
TCC (summary)
Nicoll v. The King, 2023 TCC 116 (Informal Procedure) -- summary under Subparagraph 6(1)(b)(vii)
Here, regarding s. 6(1)(b)(vii) “its wording requires that the employee be travelling away from the employer’s establishment … [whereas h]ere, Burnaby City Hall has no connection to the employer’s establishment so the allowance received by Mr. ...
FCA (summary)
Ghermezian v. Minister of National Revenue, 2023 FCA 183 -- summary under Subsection 231.1(1)
. … The doctrine of paramountcy, as argued by the appellants, cannot be engaged in the absence of conflict between the two provisions. ...
TCC (summary)
FOOi Inc. v. The King, 2023 TCC 176 -- summary under Subsection 166.1(2)
. … The Applicant never sent a Notice of Objection for the 2018 taxation year in a timely fashion. ...
Decision summary
Gestion M.-A. Roy Inc. v. Canada, 2024 FCA 16 -- summary under Subsection 15(1)
Gestion Roy was the owner of such policies (entitling it to the cash surrender value of the policies at any time), so that it was “enriched” when the premiums were paid by R3D (with Boivin JA stating in this regard, at para. 6, TaxInterpretations translation, that “the appellants received an advantage in that for years they owned policies with a total death benefit of $20,000,000 and all the rights attached to them, without having to pay premiums”) – and it was irrelevant to this point that, in fact, Gestion Roy never received any distribution on its policies. ...
TCC (summary)
Sussex Group - Allan Sutton Realty Corp. v. The King, 2024 TCC 1 (Informal Procedure) -- summary under Subsection 227(9)
. …. And adjusting the quantum of a given penalty would be beyond the jurisdiction of this Court. ...