Search - 消费者权益保护法di
Results 281 - 290 of 349 for 消费者权益保护法di
TCC
Martin v. The Queen, docket 97-1178-IT-G
Exhibit "A" to the agreement and the addendum are equivocal about the precise shares of the partners Sims, Shamburger and Shepherd, but nothing turns on this. [2] Consisting of John Di Palma and John McMillan. [3] Transcript, page 32 lines 3 to 25. [4] See Exhibit A-14. [5] Transcript, page 108 line 4 to page 115 line 7. [6] 1986 balance sheet. [7] 1988 Statement of Changes in Financial Position. [8] Transcript, page 179 line 11 to page 180 line 14. [9] Transcript, page 275 line 5 to page 277 line 1. [10] Transcript, page 26 line 11 to page 27 line 5. ...
TCC
Salaison Lévesque inc. v. The Queen, 2015 TCC 247
Despite this distinction, the Federal Court of Appeal, when reviewing the Federal Court Rules in Consorzio Del Prosciutto Di Parma v. ...
TCC
Flavor Net Inc. v. The Queen, 2017 TCC 179 (Informal Procedure)
Experimentation led to a blend of emulsifiers (SSL, Mono and Di Glycerides) that appears to function in a satisfactory manner and can be optimized further with better equipment. ...
TCC
Tom Jj. Zeiben v. Minister of National Revenue, [1991] 2 CTC 2008, 91 DTC 886
There is no evidence that this amount as such was ever negotiated— I can think of no reason why it should ever have been the subject of any negotiations—and that, in my mind, dis- poses of the effort of counsel for the respondent to somehow break the contract into two separate sets of negotiations or question its “bona fides", and thereby discredit it. ...
FCTD
Om. P. Chhabra v. Her Majesty the Queen, [1988] 1 CTC 84, 88 DTC 6015
On filing my personal U.S returns in the United States for the years 1974 through 1977, in view of this lack of substantiation and in view of Inder's conduct, I had notified the Internal Revenue Service of my dis- affirmation of the said property accounts prepared and filed by Inder, requesting an audit and investigation of the books of the property. 5. ...
TCC
The Estate of the Late John N Gladden v. Minister of National Revenue, [1984] CTC 2243, 84 DTC 1242
At the hearing, counsel for the appellant argued that subsection 70(5) of the Income Tax Act, SC 1970-71-72, c 63, as amended, which deals with deemed disposition of property and proceeds thereof at the death of a taxpayer does not apply to a non-resident, because subsections 2(3), section 3, subparagraph 115(l)(a)(iii) and subparagraph 115(l)(b)(iii) of Division D just mentioned dis- position, and as long as the non-resident has no actual disposition, he does not need to refer back to these sections because actual disposition and deemed disposition are two separate things. ...
T Rev B decision
Sbi Properties Limited v. Minister of National Revenue, [1981] CTC 2288, 81 DTC 263
The lessor is responsible for structural defects in the buildings, including the replacement or repair of broken or leaking water or gas pipes, electric wiring or fixtures, lavatories, radiators, heating and air-conditioning apparatus, but is not responsible for damage to persons or property in the premises, whether caused by non-repair, dis-repair, or negligence of the lessor, its servants or agents, unless the lessor disregards a reasonable notice thereof and fails to repair. ...
FCTD
9209654 Canada Inc. v. Canada (Border Services Agency), 2022 FC 1390
DATED: October 11, 2022 APPEARANCES: Michael Kaylor For The applicant David Di Sante FOR THE respondent SOLICITORS OF RECORD: Lapointe Rosenstein Marchand Melançon, L.L.P. ...
BCPC decision
Regina, Complainant, v. Robert George Lovell Simons, [1977] CTC 371, [1977] DTC 5232
Nevertheless, for dis- cussional purposes only, the defendant prepared Court Exhibit #8 using the inventory valuation figure provided by Kiwa Lumber Ltd, that is, $100 per 1,000 foot board measure (hereinafter called: MFBM) for rough lumber, and forwarded same to the said company with a request that they attend the defendant’s offices in the near future to discuss finalization of the said financial statements. ...
EC decision
Avril Holdings Ltd. v. Minister of National Revenue, [1969] CTC 397, 69 DTC 5263
However, the sale price of the lands is stated in Exhibit A-ll as $761,841; Clover Bar agreed to issue and allot debentures to the appellant to that amount and the appellant agreed to accept them as payment in full for the lands; the appellant’s income tax return for its 1962 taxation year shows disposal of the lands at a selling price of that amount and the appellant claimed a capital gain on such dis- posl; debentures in that total amount are shown in the assets column of the appellant’s March 31, 1962 balance sheet submitted with its income tax return for its 1962 taxation year; and the debentures which were issued in 1963 to a total amount. of $760,000 had on their face an effective date of issue of February 2, 1962. ...