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Shirley Landru v. Her Majesty the Queen in Right of Canada as Represented by the Minister of National Revenue, [1993] 1 CTC 93

Her Majesty the Queen in Right of Canada as Represented by the Minister of National Revenue, [1993] 1 CTC 93 Geatros, J. ...
SKQB decision

Polyco Window Manufacturing Limited v. The Prudential Assurance Company Limited and Berlinex Polymers Inc., Equibuilt Window Systems Inc., K & K Glass Limited, the Minister of National Revenue, Debonair Industries (1987) Limited, Advance Door Systems Limited, Thompson Plastics Limited, 302602 Alberta Limited, C/O A.B.P. Aluminum Building Products, Western Profiles Limited, Moose Jaw Sash & Door Company (1963) Limited and the Director of Labour Standards, [1994] 2 CTC 399

Finally, on May 17, 1993, an umpire awarded Polyco an additional $179,500. ... A “requirement to pay" was served on Prudential on October 29, 1993. ... Polyco and several claimants oppose an order for costs to Prudential on the grounds Prudential held the $179,500 from May 17, 1993, the date of the award, until December 24, 1993, when the money was finally deposited in Court. ...
SKQB decision

Minister of National Revenue v. Gene’s Trucking Ltd., [1998] 4 CTC 162

Exhibit “A” to his affidavit is an “account reconciliation” of Gene’s for the period 1993 to January 1, 1997, showing on the first page a balance owing at January 1, 1997, of $79,664.97. ... Purporting to cover the period October 21, 1996 to June 22, 1998 on the one hand, and the Wytosky affidavit filed in the application now before me purporting to cover the years 1993 to January 1, 1997. ...
SKQB decision

O’brien, Re, [1999] 1 CTC 72

Facts (L16/R5182/T0/BT0) test_marked_paragraph_end (1210) 1.034 0102_2401_2531 James O’Brien (“O’Brien”), the son-in-law of the Jaeckels, is indebted to the Department of National Revenue (the “Department”) in the amount of $664,203.60 for outstanding personal income tax, penalty and interest for the taxation years 1989, 1990, 1991, 1992, 1993 and 1994, as of November 20, 1997. ... In that case the taxpayer, in net worth assessments, was reassessed for substantial amounts in respect of his 1989 to 1993 taxation years. ...
SKQB decision

Gaudet v. Simonot, [1996] 2 CTC 194, 95 DTC 5690

., [1993] 1 C.T.C. 280 (sub nom. Minister of National Revenue v. TransGas Ltd.), 93 D.T.C. 5391 (Sask C.A.), which has now been confirmed by the Supreme Court of Canada [1994] 3 S.C.R. 753, 120 D.L.R. (4th) 715. ...
SKQB decision

Steele v. R., [1996] 2 CTC 279

Canada) [1993] 1 C.T.C. 93, 107 Sask. R. 1 (Q.B.), Geatros J. Considered a similar application and following a review of the relevant authorities, he held that the taxpayer has the initial burden to put evidence before the court that there are reasonable grounds to doubt that the test required in subsection 225.2(2) has been met but that the ultimate burden is on the Crown. ...
SKQB decision

Long Tractor Inc. v. Canada (Deputy Attorney General), [1998] 3 CTC 1

.), appeal dismissed on other grounds, (1993), 93 D.T.C. 5018 (S.C.C.). ...