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FCA (summary)

Canada v. Canadian Utilities Ltd., 2004 DTC 6475, 2004 FCA 234 -- summary under Subsection 248(10)

. The facts that CU and CUH intended to use both the ATCOR/Forest transactions and the normal course dividends to achieve their tax avoidance objective, that they had the ability to ensure that all the transactions would occur, and that all the transactions did indeed occur as intended are sufficient to constitute them all part of a common law series for the purposes of subsection 55(2). ...
FCA (summary)

C.A.E. Inc. v. Canada, 2013 DTC 5084 [at at 5944], 2013 FCA 92 -- summary under Paragraph 45(1)(a)

It was reasoned that the mere holding of inventory does not constitute a use of the property for an income-producing purpose in the context of considering a conversion of depreciable property to inventory (or vice versa) whereas inventory should be considered to be income-producing property in the context of a conversion of personal-use property to inventory, or vice versa. ...
FCA (summary)

Clearwater Seafoods Holding Trust v. Canada, 2013 DTC 5132 [at at 6218], 2013 FCA 180 -- summary under Section 169

Sharlow JA stated (at para. 13): In my view, there has been in this case a transmission of the liability of the Taxpayer Trust to another person by "other means" which I take to include the termination of the existence of the taxpayer. ...
FCA (summary)

Clearwater Seafoods Holding Trust v. Canada, 2013 DTC 5132 [at at 6218], 2013 FCA 180 -- summary under Subsection 88.1(2)

Sharlow JA stated (at para. 13): In my view, there has been in this case a transmission of the liability of the Taxpayer Trust to another person by "other means" which I take to include the termination of the existence of the taxpayer. ...
FCA (summary)

Canada v. Costco Wholesale Canada Ltd., 2012 FCA 160 -- summary under Subsection 153(1)

. In my view, the interpretation of the contracts that is more consistent with the language of the contracts and the undisputed facts is that [such] payments were consideration paid by Amex to Costco, either for Costco entering into the Co-Branding Agreement, or specifically for the exclusivity provision. ...
FCA (summary)

Canada v. Merchant Law Group, 2010 FCA 206 -- summary under Agency

. As a matter of law it does not follow that, because the solicitor-client relationship is generally one of agency, all financial obligations incurred by a lawyer while providing legal services are incurred as agent of its clients. ...
FCA (summary)

Hedges v. Canada, 2016 FCA 19 -- summary under Section 2

. While holding an ATP may exempt one from the application of the criminal law, it is not an “exemption” as contemplated by fiscal legislation…. ...
FCA (summary)

Jarrold v. Canada, 2010 FCA 278 -- summary under Subsection 323(3)

A submission of the appellant that he should not be liable for the unremitted GST of the company because the Minister took too long to assess (over 10 years), was rejected as being inconsistent with Addison & Leyen. ...
FCA (summary)

AgraCity Ltd v. Canada, 2016 DTC 5006 [at 6525], 2015 FCA 288 -- summary under Section 53

. Because each taxpayer is assessed (or reassessed) separately, this can result in inconsistent assessments (Peterson v. ...
FCA (summary)

AgraCity Ltd v. Canada, 2016 DTC 5006 [at 6525], 2015 FCA 288 -- summary under Subsection 152(1)

Canada, 2016 DTC 5006 [at 6525], 2015 FCA 288-- summary under Subsection 152(1) Summary Under Tax Topics- Income Tax Act- Section 152- Subsection 152(1) inconsistent assessments of related taxpayers A Barbados corporation reported substantial profits from the sale of a herbicide to Canadian farmers, and deducted amounts paid to a non-arm’s length Canadian corporation (AgraCity which was the taxpayer in the case) as service fees. ...

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