Search - 江西农大 毛瑢
Results 331 - 340 of 549 for 江西农大 毛瑢
FCA (summary)
Jefferson v. Canada, 2022 FCA 81 -- summary under Onus
In rejecting this position, Monaghan JA stated (at para. 21) that the taxpayer “places far too much emphasis on the word ‘exact’ and gives insufficient weight to the word ‘demolish’ in … Hickman.” ... She went on to state (at para. 25): The purpose of pleading the assumption is to provide the appellant with notice of the case the appellant has to meet …. ...
FCA (summary)
Contact Lens King Inc. v. Canada, 2022 FCA 154 -- summary under Section 9
“[T]he objective pursued by Parliament in enacting Part II of Schedule VI … appears to have been to alleviate the economic burden on persons with disabilities or impairments for whom such devices are a necessity, a social objective which argues for a generous interpretation of Section 9.” ... (para. 49) He noted that the appellant after the reporting periods in issue had commenced requiring customers to certify that they had the prescription in their possession – and, regarding this customer attestation requirement, stated (at para. 85) that: [I]t is not for this Court, in this context, to measure its impact on the burden imposed on the appellant. ...
FCA (summary)
Saskatchewan Wheat Pool v. The Queen, 85 DTC 5034, [1985] 1 CTC 31 (FCA) -- summary under Resolving Ambiguity
The Queen, 85 DTC 5034, [1985] 1 CTC 31 (FCA)-- summary under Resolving Ambiguity Summary Under Tax Topics- Statutory Interpretation- Resolving Ambiguity Since "paragraph 20(1)(gg) provides for an exception from the general rule for computing income for the purposes of taxation [,] a taxpayer seeking to benefit from such exception must bring himself clearly within the language of the legislation. ...
FCA (summary)
Canada v. Oxford Properties Group Inc., 2018 FCA 30 -- summary under Subsection 245(4)
The question … is whether the fact that deferred gains and recapture will never be taxed frustrates the object, spirit and purpose of subsection 97(2). ... …[D]epreciable property or other types of property that give rise to a 100% rate of inclusion cannot be bumped. … The rationale [in s. 98(3)] is the same…. ... In finding that the object and spirit of s. 100(1) also had been circumvented, Noël CJ stated (at paras 101 and 102): …[S]ubsection 100(1) brings into income 100% of the gain resulting from the sale of a partnership interest to an exempt entity insofar as it is attributable to depreciable property. … Parliament wanted tax to be paid on the latent recapture which would otherwise go unpaid on a subsequent sale of the depreciable property by the tax-exempt purchaser. ...
FCA (summary)
The Queen v. Pollock, 84 DTC 6370, [1984] CTC 353 (FCA) -- summary under Stare Decisis
Atkins, 76 DTC 6258 that while the: "... Court has the power to reconsider and refuse to follow one of its previous decisions, we are of opinion that we should do so only when we are convinced that our previous decision was wrong... ...
FCA (summary)
Harris Steel Group Inc. v. MNR, 85 DTC 5140, [1985] 1CTC 181 (FCA) -- summary under Resolving Ambiguity
.[:] "'... the words of an Act are to be read in their entire context and in their grammatical and ordinary sense harmoniously with the scheme of the Act, the object of the Act, and the intention of Parliament.'" ...
FCA (summary)
The Queen v. Manley, 85 DTC 5150, [1985] 1 CTC 186 (FCA) -- summary under Subsection 5(1)
Manley, 85 DTC 5150, [1985] 1 CTC 186 (FCA)-- summary under Subsection 5(1) Summary Under Tax Topics- Income Tax Act- Section 5- Subsection 5(1) Mahoney, J. stated that Atkins is authority "for the proposition that an amount paid in settlement of a claim for damages for wrongful dismissal is not salary", but " Atkins is not, and does not purport to be, authority for the proposition that damages, or an amount paid to settle a claim for damages, cannot be income for tax purposes. ...
FCA (summary)
The Queen v. Poirier, 92 DTC 6335, [1992] 2 CTC 9 (FCA) -- summary under Subsection 31(1)
Poirier, 92 DTC 6335, [1992] 2 CTC 9 (FCA)-- summary under Subsection 31(1) Summary Under Tax Topics- Income Tax Act- Section 31- Subsection 31(1) In finding that an operation of raising Charolais cattle was not the taxpayer's chief source of income, MacGuigan J.A. stated: "... it is patent to us that farming was in a subordinate position to the respondent's employment occupation. ...
FCA (summary)
Onenergy Inc. v. Canada, 2018 FCA 54 -- summary under Specific v. General Provisions
General Provisions provision dealing with only certain situations was the more specific After stating (at para. 29) that “arguably there is a conflict between subsection 141.01(2) of the Act and subsection 141.1(3) of the Act," Webb JA stated (at para. 30): Because subsection 141.1(3) of the Act is the more specific provision that only applies in certain situations, it will override subsection 141.01(2) …. ...
FCA (summary)
Canada v. Gastown Actors' Studio Ltd., docket A-663-99 (FCA) -- summary under Subsection 225(1)
., docket A-663-99 (FCA)-- summary under Subsection 225(1) Summary Under Tax Topics- Excise Tax Act- Section 225- Subsection 225(1) In finding that the respondent was responsible for remitting any GST it had collected with respect to its exempt supply of full-time vocational training, Sharlow J.A. stated: "... a taxpayer who has in fact collected GST, whether for services that are taxable or for services that are later determined to be exempt supplies, must remit those amounts as liable to be assessed if they are not remitted. ...