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Decision summary
Moorthy v Revenue and Customs, [2018] EWCA Civ 847 -- summary under Retiring Allowance
The two issues were "the taxability issue"--whether the settlement sum was taxable employment income as "payments and other benefits which are received [by the relevant person] directly or indirectly in consideration or in consequence of, or otherwise in connection with- (a) the termination of a person's employment"; and, if so, "the exemption issue"--whether the settlement sum (or any part of it) was taken out of the above charge to tax by a statutory exemption (“s. 406”) for a payment provided "on account of injury to … an employee", the alleged injury being the injury to the taxpayer's feelings sustained in the context of his age discrimination claim. ...
TCC (summary)
Alta Energy Luxembourg S.A.R.L. v The Queen, 2018 TCC 152, aff'd 2020 FCA 43, aff'd 2021 SCC 49 -- summary under Article 13
This provision would have deemed the shares of Alta Canada to be immovable property (thereby permitting the gain from their disposition to be subject to Canadian capital gains tax) on the basis that they derived their value principally from immovable property situated in Canada, subject to an exclusion which deemed the underlying licences not to be immovable property if they were property of Alta Canada “in which the business of the company … was carried on.” ...
FCA (summary)
Canada v. 594710 British Columbia Ltd., 2018 FCA 166 -- summary under Subsection 152(8)
. … The situation is one in which the mistake should be corrected by a reassessment rather than by finding the assessment to be void. ...
Decision summary
M. Young Legal Associates Ltd v. Zahid Solicitors (a firm) and Others, [2006] EWCA Civ 613 -- summary under Section 96
. … [T]he words of the core definition [of partnership in the Partnership Act 1890] are wide enough to render the recipient of payments in a fixed sum a partner provided that there is a business, that it is carried on with a view to profit and, crucially for present purposes, that he is carrying it on in common with another or others. ...
Decision summary
Ryanair Ltd. v. Revenue Commissioners, [2018] EUECJ C-249/17 (European Court of Justice (First Chamber)) -- summary under Subsection 141.01(2)
.”), and (at para. 25): [T]he right to deduct, once it has arisen, is retained even if the intended economic activity was not carried out and, therefore, did not give rise to taxed transactions …. ...
FCTD (summary)
Escape Trailer Industries Ltd v. Canada (Attorney General), 2019 FC 31, aff'd 2020 FCA 54 -- summary under Subsection 23(2)
…The Officer’s literal interpretation tends to frustrate both a purposive construction of section 142 and the intent of the ETA to tax consumption of goods in Canada … [and] appears to lead to a result which is at odds with the equitable underpinnings of subsection 23(2) of the FAA. ...
FCA (summary)
Plains Midstream Canada ULC v. Canada, 2019 FCA 57 -- summary under Subsection 16(1)
. … [I]t is because interest is, by its nature, symmetrical that the Judge was correct in interpreting subsection 16(1) in the way that he did. ...
FCA (summary)
Gillen v. Canada, 2019 FCA 62 -- summary under Subparagraph 110.6(14)(f)(ii)
In finding that the Tax Court had not committed a palpable and overriding error in this regard Webb JA stated (at para. 43): If the transactions are viewed as only the permits being transferred from Kinderock to the limited partnership and then by the limited partnership to Devonian, … the permits would not be used in an active business being carried on by the limited partnership as they would be transferred immediately upon being received by the limited partnership. ...
FCA (summary)
Birchcliff Energy Ltd. v. Canada, 2019 FCA 151 -- summary under Subsection 245(4)
However, although in form Veracel was the larger corporation, essentially all its assets were the subscription-receipt cash proceeds – and “There was no scenario under which Veracel would have been allowed to retain the money…” (para. 53). ...
Decision summary
PCI Géomatics Entreprises Inc. v. Agence du revenu du Québec, 2019 QCCQ 2688, rev'd 2020 QCCA 1342 -- summary under Government Assistance
. … PCI justifiably submitted that the position adopted by the ARQ, that the SADI Agreement was a forgivable loan given that the required repayments were a function of the growth in future revenues (so that the obligation to repay depended on the occurrence of an uncertain and future event), was a position which was relied upon in the dissent and rejected by the majority in McLarty. ...