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T Rev B decision

James Foster Irwin v. Minister of National Revenue, [1972] CTC 2239, 72 DTC 1201

Each of the six operation reports states that the customer is J Foster Irwin and identifies the purpose of the flight in question as the “McDonald & Vincent Job”. ...
T Rev B decision

James F McDonald v. Minister of National Revenue, [1972] CTC 2243, 72 DTC 1204

Each of the six operation reports states that the customer is J Foster Irwin and identifies the purpose of the flight in question as the “McDonald & Vincent Job”. ...
T Rev B decision

John P Vincent v. Minister of National Revenue, [1972] CTC 2246, 72 DTC 1206

Each of the six operation reports states that the customer is J Foster Irwin and identifies the purpose of the flight in question as the “McDonald & Vincent Job”. ...
T Rev B decision

Julius Lipson v. Minister of National Revenue, [1972] CTC 2270, 72 DTC 1222

Obviously, a taxpayer is entitled to arrange his affairs so that he will pay the least amount of tax but he is not entitled to disturb his own affairs to arrange those of another taxpayer in the present circumstances, Rideau Terrace Apartment Limited. ...
T Rev B decision

Brien a Hornby v. Minister of National Revenue, [1972] CTC 2539, 72 DTC 1476

From the year 1953 until about December of 1963, the appellant was employed by Leslie Bongard & Co Ltd, a stock brokerage firm with offices in the City of Windsor, in the County of Essex, and elsewhere. ...
T Rev B decision

Jack Abugov v. Minister of National Revenue, [1972] CTC 2598, 72 DTC 1493

The amounts added back to his income for the respective years were as follows: (a) Architectural and engineering costs not laid out to earn income in 1962 Britannia “800” /2 of 5,285.97 $ 2,642.99 (b) Architectural and engineering costs not laid out to earn income in 1963 Britannia “800” /2 of 1,545.28 772.64 (c) Architectural and engineering costs not laid out to earn income in 1964 Personal residence J Abugov— /2 of 1,134.02 567.01 12th Ave. ...
T Rev B decision

DR J H Smylie v. Minister of National Revenue, [1978] CTC 2363, [1978] DTC 1288

The Board also notes that the financial statements of the appellant, prepared by Thorne Gunn & Co, Chartered Accountants, attached to the income tax returns for the years in question show as gross income from his veterinary practice the amounts of $89,167, $106,001, $122,119 and $122,287 respectively described in each year as “Income from professional fees, farm, clinic and government retainer fees”. ...
T Rev B decision

George Sher v. Minister of National Revenue, [1978] CTC 2486, [1978] DTC 1356

In 1972 Johnston found itself in financial. difficulties and Johnston Holdings agreed to sell all of the issued and outstanding shares of Johnston to C J Hodgson & Co Inc, another brokerage firm. ...
T Rev B decision

Charwood Investments LTD v. Minister of National Revenue, [1978] CTC 2545, [1978] DTC 1411

It is located in the general office premises of Rosenberg, Smith, Paton, Hyman & Matlow, a Toronto law firm. ...
T Rev B decision

T W Dexter v. Minister of National Revenue, [1978] CTC 3243, [1978] DTC 1881

A premium is deductible under a registered retirement savings plan (if the taxpayer already contributes, as in the present case, to a registered pension plan) only if the contribution to the said registered plan for the’ year (8(1)(m)(i)(ii)) (amount of $1,593.40 + 2,059.72 $3,653.12) plus, the contributions of $1,000 to the registered retirement savings plan do not exceed $3,500 12+ $1,000 $4,653.12). ...

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