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FCTD

David Asper Holdings Inc. v. Canada (Attorney General), 2010 FC 896

Minister of National Revenue, (1993) 93 D.T.C. 5499 (F.C.T.D.), Justice Dube wrote: At the outset, I should point out that it is not for the Court to decide whether the interest otherwise payable by the taxpayer ought to be waived or cancelled. ...
FCTD

Lenvest Enterprises Inc. v. Canada (Attorney General), 2010 FC 892

Minister of National Revenue, (1993) 93 D.T.C. 5499 (F.C.T.D.), Justice Dube wrote: At the outset, I should point out that it is not for the Court to decide whether the interest otherwise payable by the taxpayer ought to be waived or cancelled. ...
FCTD

Daremax Enterprises Ltd. v. Canada (Attorney General), 2010 FC 895

Minister of National Revenue, (1993) 93 D.T.C. 5499 (F.C.T.D.), Justice Dube wrote: At the outset, I should point out that it is not for the Court to decide whether the interest otherwise payable by the taxpayer ought to be waived or cancelled. ...
FCTD

Canwest Direction Ltd. v. Canada (Attorney General), 2010 FC 898

Minister of National Revenue, (1993) 93 D.T.C. 5499 (F.C.T.D.), Justice Dube wrote: At the outset, I should point out that it is not for the Court to decide whether the interest otherwise payable by the taxpayer ought to be waived or cancelled. ...
FCTD

Canwest Communications Corporation v. Canada (Attorney General), 2010 FC 897

Minister of National Revenue, (1993) 93 D.T.C. 5499 (F.C.T.D.), Justice Dube wrote: At the outset, I should point out that it is not for the Court to decide whether the interest otherwise payable by the taxpayer ought to be waived or cancelled. ...
FCTD

Torrance v. Canada (Attorney General), 2012 FC 1269

  [7]                The pension application was denied on December 14, 1998 because records indicated that he had made sufficient CPP contributions in only two years during the period 1993 to 1998. ...
FCTD

Canada (Citizenship and Immigration) v. Tarfi, 2009 FC 188

    [3]                Drawing on Koo (Re), [1993] 1 F.C. 286 (T.D.), at paragraph 10, the judge answered the following six questions: (1)        was the individual physically present in Canada for a long period prior to recent absences which occurred immediately before the application for citizenship?   ...
FCTD

Association des crevettiers acadiens du golfe Inc. v. Canada (Attorney General), 2009 FC 417

., [1993] 2 FC 425 and in Z.I. Pompey Industrie v. ECU-Line N.V., [2003] 1 S.C.R. 450 apply ...
FCTD

Bouchard v. Mitsubishi Motor Sales of Canada Inc., 2009 FC 852

T&N plc, [1993] 4 S.C.R. 289 (Hunt), he concluded that, before exercising their jurisdiction over a foreign defendant who has no presence in Canada and who has not submitted to their jurisdiction, Canadian courts require a real and substantial connection between the defendant, the cause of action and Canada. ...
FCTD

Abraham v. Canada (Attorney General), 2011 FC 638

During the 1993 through 1998 tax years, the connecting factors and the weight to be accorded to them in respect to the situs of employment income was evolving and was not settled. ...

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