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T Rev B decision

Anderson v. MNR, 72 DTC 1263, [1972] CTC 2318 (T.R.B.)

As 1968 was a peak year, he would have been financially better off to defer receipt of the cash payment until 1969, but he \ was. unaware of the consequences of that payment at the time. ...
T Rev B decision

R. v. H. Griffiths Co., 76 DTC 6261, [1976] CTC 454, [1975] C.T.C. 2120 (FCTD)

Purchases of sheet metal by the appellant from October 1, 1967, to August 31, 1969, were as follows: Hartwil $ 454,606.00 From other sources for work contracted prior to November 27/67 411,476.00 Special project too large for Hartwil to handle 149,000.00 Other purchases 26,634.00------------- $1,041,716.00 7 Hartwil, while operating as a subsidiary, did have some outside sources of revenue. ...
T Rev B decision

Peter Caspar! v. Minister of National Revenue, [1983] CTC 2001, [1983] DTC 45

Inland Revenue Commissioners v Port of London Authority, [1923] AC 507; Inland Revenue Commissioners v Rowntree & Co Ltd, [1948] 1 All ER 482; Dupuis Frères Ltd v Minister of Customs and Excise, [1927] Ex CR 207. ...
T Rev B decision

John Hobson v. Minister of National Revenue, [1983] CTC 2024, 83 DTC 31

Law Analysis 4.01 Law The main provisions of the Income Tax Act involved in the present case are subsection 62(1) and paragraphs 63.1(b) and 250(1)(d). ...
T Rev B decision

T Bar B Cattle Co LTD v. Minister of National Revenue, [1983] CTC 2168, 83 DTC 165

It allows him 3% of a figure, which figure is of his choosing it can be based on full inventory or on an amount just above zero. ...
T Rev B decision

C J Webb v. Minister of National Revenue, [1983] CTC 2305, 83 DTC 245

There is not only the rules of the interpretation of statutes that are binding on the courts, there is also a limit, one that is based on common sense and on the reasonableness of the deductions in this particular case, reasonableness not only as to the amount but as to the nature of the items that are claimed as being deductible. ...
T Rev B decision

Melvin Pisony v. Minister of National Revenue, [1982] CTC 2010, 82 DTC 1023

The $40,000 was, again in the words of the Minutes, taken by the former spouse “... in full satisfaction of all her past, present, and future claims to maintenance”. ...
T Rev B decision

Marcel De Montigny v. Minister of National Revenue, [1982] CTC 2012, 82 DTC 1034

. “farming” includes tillage of the soil, livestock raising or exhibiting, maintaining of horses for racing, raising of poultry, fur farming, dairy farming, fruit growing and the keeping of bees, but does not include an office or employment under a person engaged in the business of farming. ...
T Rev B decision

Arthur H Channer v. Minister of National Revenue, [1982] CTC 2047, 82 DTC 1068

It was a letter written by the appellant to Allore and it asserts it uses expressions such as, “If I am a pure employee...“ It makes no mention at all of any supposed new arrangement. ...
T Rev B decision

Claude Quirion v. Minister of National Revenue, [1982] CTC 2497, 82 DTC 1512

On October 3, 1975, a few days before the end of the one hundred and twenty day period, Bourassa & Associés obtained a $750,000 loan from the Banque Provinciale du Canada. ...

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