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FCTD

Minister of National Revenue v. Chrysler Canada Ltd., John Phaneuf, Norman Beaudoin, Leonard Bourque, Simon Bolohan, Russell Peterson, Steve Horvath, William Bridgeman and Louis Bulat, [1992] 1 CTC 61, 92 DTC 6061

Secondly, I believe that in exercising that discretion by analogy to Rule 420(1) I should be governed by the principle set out in that Rule that ”... all such amendments shall be made as may be necessary for the purpose of determining the real question or questions in controversy between the parties. ...
FCTD

Manfred Wolf and Ursula Wolf v. Her Majesty the Queen, [1991] 2 CTC 133, 91 DTC 5437

Lagarde, [1987] R.D.J. 87 and Constructions Rivard & Lavallée Inc. v. ...
FCTD

Thomas Hertel v. Her Majesty the Queen, [1990] 2 CTC 1

I would have to get instructions to abandon costs and I The Court: Well, I’m always reluctant to award costs against a taxpayer whose [sic] pursued something in good faith. ...
FCTD

Oro Del Norte, S.A. v. Her Majesty the Queen, [1990] 2 CTC 67, 90 DTC 6373

., (1983) 43 B.C.L.R. 352; 35 C.P.C. 68, and adopted by Urie, J. in Everest & Jennings Canadian Ltd. v. ...
FCTD

Mackay Construction Limited v. Her Majesty the Queen, [1989] 1 CTC 285

That notice of confirmation reads in part: The formal objection(s) which you made to the notice(s) of Redetermination of a Loss for income tax in respect of taxation year(s) 1979 & 1980 has (Have) been carefully considered in accordance with paragraph 165(3)(a) of the Income Tax Act. ...
FCTD

F-C Research Ltd., 317966 Alberta Ltd. And First Canadian Holdings Ltd. v. Her Majesty the Queen and the Minister of National Revenue, [1988] 2 CTC 270, 88 DTC 6451

Her Majesty the Queen and the Minister of National Revenue, [1988] 2 CTC 270, 88 DTC 6451 The Associate Chief Justice: In these six files, nine motions came on for hearing at Edmonton, Alberta, on December 8, 1987. ...
FCTD

Moshe Schwarz v. Her Majesty the Queen, [1987] 2 CTC 12, 87 DTC 5274

The only evidence of any record concerns these mysterious pieces of paper on which he says he noted sales, which were turned over to his accountant, and which had disappeared by 1976 notes which must not have been considered by his accountant to be accurate as he referred in the "cash disbursements" accounts to the "estimates" by the plaintiff of his cash purchases. ...
FCTD

The Capitol Life Insurance Company v. Her Majesty the Queen, [1987] 1 CTC 394, 87 DTC 5208

Irving Pulp & Paper, Limited, December 9, 1985, Dubé, J. (unreported) (T-166-80). ...
FCTD

Her Majesty the Queen v. Jack !. Salter, [1985] 2 CTC 338, 85 DTC 5525

The subparagraph might possibly bear such an interpretation if it provided, “... in respect of a taxation year during which he was employed for some period in connection with.. ...
FCTD

Lor-Wes Contracting LTD v. Her Majesty the Queen, [1982] CTC 415, 83 DTC 5016

During the relevant period the plaintiff acquired a 1976 P & H hydraulic excavator, a 1976 DBK Caterpillar tractor and a 235 Caterpillar excavator. ...

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