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FCTD

Brown v. Canada (Customs and Revenue Agency), 2005 FC 1639

A client or representative can provide the necessary identification information and proceed        with the disclosure; or 2. ... Form VDP-1, Client Agreement Form, is available for both these purposes and is provided in Appendix A (PDF). ... Canada Customs and Revenue Agency PLACE OF HEARING:                    London, Ontario DATE OF HEARING:                       November 28, 2005 REASONS FOR ORDER AND ORDER:                         BLAIS J. ...
FCTD

Chotalia v. Canada (Attorney General), 2021 FC 279

Chotalia. [39] Keeping in mind the summary nature of judicial review and considering that in portable document format (pdf) the ETA is over 1100 pages in length, the invitation to examine it in its entirety in order to find support for Mr. ... Susan Elliott" Judge FEDERAL COURT SOLICITORS OF RECORD Docket: T-79-20   STYLE OF CAUSE: NILKANTH CHOTALIA v ATTORNEY GENERAL OF CANADA   PLACE OF HEARING: BY ZOOM VIDEOCONFERENCE BETWEEN OTTAWA, Ontario and edmonton, alberta   DATE OF HEARING: OCTOBER 13, 2020 JUDGMENT AND REASONS: ELLIOTT J.   DATED: MACH 31 2021   APPEARANCES: Shirish Chotalia   For The Applicant   Alexander Millman   FOR THE RESPONDENT SOLICITORS OF RECORD: Pundi & Chotalia Barristers and Solicitors Edmonton, Alberta   For The Applicant   Attorney General of Canada Edmonton, Alberta   FOR THE RESPONDENT     ...
T Rev B decision

Elizabeth Warrendorf v. Minister of National Revenue, [1978] CTC 2957, [1978] DTC 1691

SUMMERLAND RESEARCH STATION AGRICULTURE CANADA, SUMMERLAND, BC ISSUED BY: NATIONAL RESEARCH COUNCIL DIVISION DIVISION CONSEIL NATIONAL DE RECHERCHES OTTAWA, K1A 0R6 OTHER INCOME (Box H) $7,249.99 INCOME TAX DEDUCTED (Box I) $1,362.50 PDF STIPEND BOURSES DE RECHERCHES POST-DOCTORALES (NRC) The notice of appeal reads in part as follows: 1) I paid income tax on my “income" at the same rate as any other taxpayer and therefore I should have the right, as a taxpayer. to put money into a RRSP. 2) If my fellowship is not considered an “income" then I should have the “income tax" paid on those monies refunded. 3) When fellowships became subject to income tax in the late 1960’s it was, in my opinion, an oversight that fellowships did not become listed with the “earned incomes’’ of paragraph 146(1)(c) of the Income Tax Act. ...
TCC

Hypercube Inc. v. The Queen, 2015 DTC 1135 [at at 859], 2015 TCC 65 (Informal Procedure)

  [13]         The initial hypothesis on which the project was based, as Mr.  ... The program had to be able to produce a diagnostic report in PDF format. [18]         Mr.  ... Pentney Deputy Attorney General of Canada Ottawa, Canada     ...
TCC

Shenanigans Media Inc. v. The Queen, 2017 TCC 180 (Informal Procedure)

The remainder of the reduction comprises makeup and hair and wardrobe expenses that were allowed by the Appeals Division because they were considered to have been incurred for business purposes. [10]          Below I set out in more detail the disputed expenses: Taxation Year Category Total Expenses Claimed Total Expenses Allowed 2009 (DE) Advertising $2,566 $2,566   Business Promotion $2,129 $1,006   Makeup/Hair $3,342 $1,671   Management/Chaperone $10,000 $10,000   Research and Development $1,554   Rent $2,010 $2,000   Travel $13,957 $4,261   Wardrobe $3,013 $1,506 2010 (DE) Business Promotion $1,378 $347   Makeup/Hair $1,518 $759   Management/Chaperone $14,000 $10,000   Research and Development $463   Rent $4,000   Travel $3,209 $634   Wardrobe $2,659 $1,329 2011 (S) Automobile $2,753   CCA Automobile $2,576   Makeup/Hair $2,431 $1,251   Entertainment $2,618 $870   Research and Development $2,387 $148   Travel $13,158 $695   Wardrobe $6,414 $3,222 [11]          It should be noted that: –   The 2009 advertising expenses consist of purchases of gifts to the cast and crew of productions Mr. ... King COUNSEL OF RECORD:     For the Appellants:       Firm:     For the Respondent: Nathalie G. ... However, in categories where the differences matter to the outcome, the numbers are clear. [3] See Exhibits A-9 and A-10. [4] 2007 TCC 191, at the bottom of page 8 of the PDF version of the transcript of the reasons for judgment on CanLII, affirmed by the Federal Court of Appeal, 2009 FCA 314. ...
TCC

Murphy Estate v. The Queen, 2015 TCC 8

To evidence its execution of an original counterpart of this Agreement, a Party may send a copy of its original signature on the execution page hereof to the other Parties by facsimile transmission or a PDF copy by email and such transmission shall constitute delivery of an executed copy of this Agreement to the receiving Parties. [13]         In accordance with the Settlement Agreement, the parties signed a Consent Order in which the Murphy Children agreed to sign all documents necessary to release, convey and transfer all of their interests in the RRSPs of John Arthur Murphy. ... Besler   COUNSEL OF RECORD: For the Appellant: Name: M. Gerard Tompkins, Q.C.   ... Pentney Deputy Attorney General of Canada Ottawa, Canada     ...
TCC

Hull v. The Queen, 2021 TCC 87

The Queen, 2021 TCC 87 Docket: 2015-2187(IT)G BETWEEN: JEFFREY HULL, Appellant, and HER MAJESTY THE QUEEN, Respondent.     ... D’Arcy” D’Arcy J.   CITATION: 2021 TCC 87 COURT FILE NO.: 2015-2187(IT)G STYLE OF CAUSE: JEFFREY HULL v. ... Christina Tari   Firm: Tari Law Toronto, Ontario For the Respondent: François Daigle Deputy Attorney General of Canada Ottawa, Canada   ...
TCC

CFI Funding Trust v. The Queen, 2022 TCC 60

The Queen, 2022 TCC 60 Docket: 2019-4229(GST)G BETWEEN: CFI FUNDING TRUST, Appellant, and HER MAJESTY THE QUEEN, Respondent.   ... Hogan” Hogan J.   Citation: 2022 TCC 60 Date: 20220609 Docket: 2019-4229(GST)G BETWEEN: CFI FUNDING TRUST, Appellant, and HER MAJESTY THE QUEEN, Respondent.   ... Bass Angelo Gentile Firm: Aird & Berlis LLP Brookfield Place 181 Bay Street, Suite 1800 Toronto, Ontario M5J 2T9 For the Respondent: François Daigle Deputy Attorney General of Canada Ottawa, Canada   [1] RSC 1985, c E-15. [2] SOR/91-45. [3] Westborough Place Inc v R, 2007 TCC 155. [4] International Hi‑Tech Industries Inc v R, 2018 TCC 240. [5] Vocan Health Assessors Inc v R, 2021 TCC 49. [6] 1378055 Ontario Limited v R, 2019 TCC 149. [7] Westborough Place Inc, supra note 3. [8] International Hi‑Tech Industries Inc, supra note 4 at para 65; Vocan Health Assessors Inc, supra note 5 at para 177; and 1378055 Ontario Limited, supra note 6 at para 53. [9] David Sherman, “169(4) Input Tax Credits Required Documentation” (last modified 30 April 2022), online: Taxnet Pro. [10] Canada Revenue Agency, “May 2004 CRA Roundtable” (January/February 2005 member advisory), online (pdf): Chartered Professional Accountants of Alberta. [11] David Sherman, supra note 9. [12] Ruth Sullivan, Statutory Interpretation, 3rd ed (Toronto: Irwin Law, 2016) at 79. [13] Ibid at 80. [14] Canada Trustco Mortgage Co v R, 2005 SCC 54 at para 10. [15] All of the MCLAs are substantially similar. ...
TCC

Chad v. The King, 2024 TCC 142

Hodgins, on October 6, 2011: I described to Tim my desire for a loss, or a deferral, to create the deferral. ... Broer had not been able to do so, as the data in the report was in static form, specifically a printed PDF document. [61] Consequently, Mr. ... Walls, 2002 SCC 47, 19. Compare with Stewart, supra note 180, 53. ...
TCC

Anderson v. M.N.R., 2021 TCC 28

And at that point, I was already in for ‑‑ for three and a half weeks, and I was expecting ‑‑ $5,000 is what I was expecting. ... Anderson, was the following: I did that because I foreseen [sic] a problem…. ... Wheaton   Firm: Dobko & Wheaton For the Respondent: Nathalie G. Drouin Deputy Attorney General of Canada Ottawa, Canada     [1] Employment Insurance Act, SC 1996, c. 23, as amended. [2] Canada Pension Plan, RSC 1985, c. ...

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