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TCC
Hadiken Concrete & Supply Ltd. v. R., [1998] 3 CTC 2777, 98 DTC 1984
Hadiken Concrete & Supply Ltd. v. R., [1998] 3 CTC 2777, 98 DTC 1984 Bell T.C.J.: Issue The issue in each of the appeals is whether a gain realized on disposition of an interest in a limestone quarry was on capital or income account. Facts At the commencement of his submissions, Respondent’s counsel said that if the sale by Lawrence Hadiken (“Lawrence”) was on capital account, then the sale by Hadiken Concrete & Supply Ltd. ... Concrete advertised in a number of journals as Selkirk Limestone Quarries giving its address, telephone numbers and hours of operation, including the following words FOR PICKUP & DELIVERY. ...
TCC
L. & M. Wood Products (1985) Ltd. v. R., 98 D.T.C. 1410, [1998] 2 C.T.C. 2701
& M. Wood Products (1985) Ltd. v. R., 98 D.T.C. 1410, [1998] 2 C.T.C. 2701 Reeve, T.O., T.C.C.: 1 This taxation of costs was heard via conference call at 12:00 PM (PST) on Friday November 7, 1997. ... & M. Wood Products (1985) Ltd. Forest Management License Agreement, transcript of John Kennedy Davies and related undertakings, and financial statements for L & M Wood Products (1985) Ltd. 18 hours Preparation of quantitative schedules from the undertakings, including Schedule of Reforestation Costs, Schedule of Road Construction, Schedule of Volumes Harvested, Schedule of Areas Harvested, and Schedule of Dues 5 hours Analysis and reconciliation of data provided regarding the Renewal Fund in the accountant's working papers, Statement of Activity, financial statements, ledger cards and bank records for 1987 to 1990 12 hours Preparation of Evidence 36 hours Review of Evidence and background documents in preparation for Trial 8 hours Time spent by Kathryn Holgate 109 hours @$130 $14,170 Partner Consultation, Review of Evidence 9.5 hours @$200 $ 1,900 $16,070 12 In the case of Quintal v. ...
TCC
Ken & Jesie Degrace Family Trust v. R, [1999] 1 CTC 2807
Ken & Jesie Degrace Family Trust v. R, [1999] 1 CTC 2807 Bonner T. ...
TCC
Climac Hotels Ltd, B & C Hotels LTD v. Minister of National Revenue, [1985] 2 CTC 2312, 85 DTC 609
Climac Hotels Ltd, B & C Hotels LTD v. Minister of National Revenue, [1985] 2 CTC 2312, 85 DTC 609 Brulé, TCJ [ORALLY]:—These two cases heard together, involved the purchases and sales of different hotel properties. As a result of these transactions the Minister reassessed Climac Hotels in its 1977 income tax year for the profit on the sale of a hotel as income rather than as a capital gain claimed, and in the case of B & C Hotels there were reassessments of its 1979 and 1980 income tax years on the same basis. ...
TCC
Tillsonburg Glass & Mirror Limited v. Minister of National Revenue, [1985] 1 CTC 2345, 85 DTC 307
Tillsonburg Glass & Mirror Limited v. Minister of National Revenue, [1985] 1 CTC 2345, 85 DTC 307 Christie, ACJTC:—This appeal is concerned with a claim by the appellant to entitlement to deduct farming losses in its 1980 taxation year in an amount in excess of $5,000. ... For the purposes of this appeal, it did: Kerr & Forbes v MNR, [1984] CTC 2071 at 2073; 84 DTC 1094 at 1096. ...
TCC
Quesnel & District Minor Hockey Assn. v. R., [1997] 3 C.T.C. 2260
Quesnel & District Minor Hockey Assn. v. R., [1997] 3 C.T.C. 2260 Beaubier T.C.J.: 1 This appeal was heard at Prince George, British Columbia on April 30, 1997 pursuant to the Informal Procedure. ... Section 2: To control and operate Minor Hockey within the District of Quesnel; Section 3: To promote and inform the members of the Mutual Aid Fund, as a means of assistance to members injured in play, in authorized Hockey activities, to ensure the best possible safety standards are set and maintained by the Association. 7 After expenses, including referees' and linesmen's pay, the concession netted the following seasonal income: 1990-1 $ 3,070.27 1991-2 19,312.51 1992-3 5,573.29 1993-4 1,055.53 The concession posted advertisements for tournament breakfasts with which it had no connection. ...
TCC
Ed Sinclair Construction & Supplies Ltd. v. MNR, 92 DTC 1163, [1992] 1 CTC 2218 (TCC)
Ed Sinclair Construction & Supplies Ltd. v. MNR, 92 DTC 1163, [1992] 1 CTC 2218 (TCC) Bowman, T.C.C.J. ... The definition of specified investment business” in paragraph 125(6)(h) of the Act applicable to the 1979, 1980 and 1981 taxation years was: (h) “ specified investment business” carried on by a corporation in a taxation year means a business (other than the business of leasing property other than real property) the principal purpose of which is to derive income from property, unless the corporation employs in the business throughout the year more than five full- time employees who are not specified shareholders of the corporation or persons related thereto. ... Ed Sinclair Construction & Supplies Ltd. Accrued management bonuses and accrued interest expenses I shall not repeat here the observations made in connection with the related appeal of Prosperous Investments Ltd. ...
TCC
Wacky Wheatley's TV & Stereo Ltd. v. MNR, 87 DTC 576, [1987] 2 CTC 2311 (TCC)
Wacky Wheatley's TV & Stereo Ltd. v. MNR, 87 DTC 576, [1987] 2 CTC 2311 (TCC) Brulé, T.C.J. ... Subsection 18(1) provides, in part, as follows: 18 (1) In computing the income of a taxpayer from a business or property no deduction shall be made in respect of (a) (General limitation.) — 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) (Capital outlay or loss.) — 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. ... Nomad Sand & Gravel Ltd., [1987] 2 C.T.C. 112; 87 D.T.C. 5343 decided by the Federal Court, Trial Division on July 16, 1987. ...
TCC
Will-Care Paving & Contracting Ltd. v. The Queen, 97 DTC 506, [1996] 2 CTC 2426 (TCC)
Will-Care Paving & Contracting Ltd. v. The Queen, 97 DTC 506, [1996] 2 CTC 2426 (TCC) Sarchuk J.T.C.C.:- This is an appeal by Will-Kare Paving & Contracting Limited from assessments of tax with respect to its 1988, 1989 and 1990 taxation years. ... To conclude otherwise would obscure the well-known distinction between manufacturing for the purpose of sale and manufacturing for the purpose of repair services, and be contrary to the plain intention of Parliament in enacting the legislation — an intention which the authorities say a proper construction of legislation must give effect to.... ... Appeal dismissed. 1 Hawboldt, supra. 2 supra at page 414-15 (D.T.C. 5429). 3 supra. 4 supra. 5 Webster’s New World Dictionary (2nd College ed.) page 1129. 6 1988 Income Tax Act, subsection 127(9) “qualified property” 7 ^Hawboldt, supra at pages 344-45 (D.T.C. 6547-48) 8 * Black’s Law Dictionary, 6 ed., page 1192. ...
TCC
Joe’s & Company Ltd. v. Minister of National Revenue, [1986] 1 CTC 2123, 86 DTC 1073
Joe’s & Company Ltd. v. Minister of National Revenue, [1986] 1 CTC 2123, 86 DTC 1073 Sarchuk, T.C.J.:—Joe's & Company Ltd. (Joe's) appeals from assessments to tax with respect to its 1974 and 1975 taxation years. ... More specifically: (i) 1377- 1385 Winnipeg Avenue — this property was acquired in 1971 and was first listed for sale on April 19, 1972. ...