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SCC

R. v. Verrette, [1978] 2 SCR 838

  [1] [1977] C.A. 96, (1977), 1 C.R. (3d) 58. [2] [1976] C.S. 704. [3] [1978] C.A. 103, summary only. [4] [1975] 2 S.C.R. 160. [5] (1977), 36 C.C.C. (2d) 206. [6] Judgment delivered on October 17, 1978. ...
TCC

Stanley v. M.N.R., docket 95-1612-UI

Margeson" J.T.C.C. [1]         See the procedure outlined in R. v. ...
TCC

Gupta v. The Queen, docket 96-1024-IT-I (Informal Procedure)

I lost in excess of $150,000 + loss in currency depreciation in Canada since then. ...
TCC

Bennett v. The Queen, docket 97-248-IT-I (Informal Procedure)

The question is whether it also covers an arrangement of the type set out in the definitions of RRSP and RRIF in the Income Tax Act. [21] The definition of RRSP includes, in subparagraph (b) (iii), "... a deposit with a branch or office, in Canada, of... ...
TCC

9010-7020 Québec Inc. v. M.N.R., docket 97-1557-UI

Erich Klein, Revisor [1]           See Alexander v. M.N.R., [1970] Ex. ...
FCTD

Phillips v. Canada, [1997] 1 CTC 59, 96 DTC 6581

Phillips put it in his argument “Seven [1] for Twelve [2] against” his position. ...
TCC

Jacob Pete v. Minister of National Revenue, [1991] 1 CTC 2001, 91 DTC 204

S-53 called the Little Pine Community Counselling Services Society” and this society is not an Indian within the meaning of the Indian Act. ...
TCC

Kenneth Sommers v. Minister of National Revenue, [1991] 1 CTC 2451, 91 DTC 656

As was stated in Evidence in Civil Cases, Sopinka and Lederman, Butterworth & Co. ...
NBPC decision

Pacey v. R., [1996] 1 CTC 106

The first case relied upon by the defendant is the Supreme Court of Canada decision in James Richardson & Sons Ltd. v. ...
SCC

Tennant v. Minister of National Revenue, [1996] 1 CTC 290

Relevant Staturory Provisions Income Tax Act, S.C. 1970-71-72, c. 63 (applicable to taxation years 1985 and 1986) 18.(1) In computing the income of a taxpayer from a business or property no deduction shall be made in respect of (a) an outlay or expense except to the extent that it was made or incurred by the taxpayer for the purpose of gaining or producing income from the business or property; (b) an outlay, loss or replacement of capital, a payment on account of capital or an allowance in respect of depreciation, obsolescence or depletion except as expressly permitted by this Part; 20.(1) Notwithstanding paragraphs 18(l)(a), (b) and (h), in computing a taxpayer’s income for a taxation year from a business or property, there may be deducted such of the following amounts as are wholly applicable to that source or such part of the following amounts as may reasonably be regarded as applicable thereto: (¢) an amount paid in the year or payable in respect of the year (depending upon the method regularly followed by the taxpayer in computing his income), pursuant to a legal obligation to pay interest on (i) borrowed money used for the purpose of earning income from a business or property (other than borrowed money used to acquire property the income from which would be exempt or to acquire a life insurance policy), 38. ...

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