Search - 德国民法典第1993条

Results 4241 - 4250 of 4354 for 德国民法典第1993条
TCC

Rowe v. The Queen, 2017 TCC 122

Rowe was employed in the accounting department of a meat trading company from approximately 1993 to 1997; from approximately 1997 to 2000 he was the controller of that company. ...
TCC

Gillen v. The Queen, 2017 TCC 163, aff'd 2019 FCA 62

The Appellant noted that he had had a subscription to this publication “on and off” since 1992 or 1993. [2] At the relevant time for the purposes of this appeal he was using a subscription that Kinderock held for the period from March 1, 2007 to February 28, 2008. [3] [8]              He used AccuMap to determine where potash exploration had occurred in the 1960’s and what specific areas were currently available for exploration. ...
TCC

Jensen v. The Queen, 2018 TCC 60

Drilling has been a successful business since 1993. By 2001, it had 50 to 60 direct employees plus hired subcontractors. ...
TCC

Moose Factory Restaurant Properties Ltd. v. The Queen, 2019 TCC 156

Contextually, other provisions of the Act support this interpretation.... [44] An appeal of the Crown to the Supreme Court of Canada was dismissed from the bench without this point being addressed: [1993] 4 S.C.R. 285. ...
TCC

Robinson v. The Queen, 2019 TCC 181 (Informal Procedure)

Canada, [1993] 4 S.C.R. 695; Weber v. The Queen 2003 TCC 482 (Inf.); Perera v. ...
TCC

632738 Alberta Ltd. v. The Queen, 2019 TCC 225

., 2005 TCC 803 [Chafetz], the Court used common sense to determine a waiver was made with respect to the contemporaneous terms thus valid with respect to the 1992 and 1993 tax years but it referred to a term that only applied before 1975 rather than the contemporaneous terms. [42]   Solberg, supra at paras 13-15. 632 also sought to distinguish its application from cases where the Minister was allowed to reassess outside the scope of waiver on the bases both parties had the same intention regarding the Waiver and the appellant did not intend to deceive the Minister: Chafetz, supra at paras 17-19 and Gramiak v. ...
TCC

6610048 Canada Inc. v. The Queen, 2019 TCC 255

From 1993 to 2000, the three partners built condominium units in Repentigny under the names Le Groupe Corasol and Les Constructions Domicil Inc. ...
TCC

DiCaita v. The Queen, 2021 TCC 5 (Informal Procedure)

The Queen, [1993] 2 C.T.C. 68. [15] Hare (FCA), supra, note 4. [16] Fotherby v. ...
TCC

Industries S.L.M. Inc. v. Minister of National Revenue, [1996] 2 CTC 2572, 96 DTC 3215

Appeals dismissed. 1 ’To this dividend amount of $3,910,000 must be added a deemed dividend of $406,666, which is deemed to have been paid at the time of the share redemption in 1993. ...
TCC

Scierie Landrienne Inc. v. R., [1998] 1 CTC 2066, 97 DTC 648

., 1993, 4 édition, at page 271. 10 [1990] R.D.I. 760 (Que. C.A.). ...

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