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FCA
Her Majesty the Queen v. British Columbia Railway Company, [1981] CTC 110, 81 DTC 5089
In The King v Henry K Warn pole & Company, Limited, [1931] S.C.R. 494 at 496, Anglin, CJC speaking for the majority of the Court said: I was, at the hearing of this appeal, strongly of the view that the sample goods in question were subject to the tax sought to be collected in this case. ...
T Rev B decision
Harold Dyck v. Minister of National Revenue, [1981] CTC 2056, 81 DTC 54
Up to this point in time the appellant had lived 30 years in North Dakota where he worked in Dycks Containers & Forest Products and he was with that business for 20 years. ...
T Rev B decision
Jerrold Kennedy v. Minister of National Revenue, [1981] CTC 2176, 81 DTC 187
Law — Analysis 4.01 Law The main sections of the Income Tax Act involved in the present case are paragraph 56(1)(h); section 110.1; paragraphs 146(1)(a), (c), (i) and (j); subsection 146(5); paragraph 153(1)(j); and subsection 164(3). ...
T Rev B decision
DR Wylie F Verge v. Minister of National Revenue, [1981] CTC 2375, 81 DTC 330
When the appellant did move into the building in 1976 he paid rent — but at the same time attempted to deduct capital cost allowance when in fact he played no part in the capital construction of the building. ...
T Rev B decision
John Martens Co Ltd, J M Enterprises Ltd, Falk Enterprises Ltd, Kencar Enterprises Ltd, John Martens (Sask) LTD v. Minister of National Revenue, [1981] CTC 2857, 81 DTC 665
Then paragraph (b) comes into play whereby “... all amounts each of which is an amount equal to the share of the income or loss referred to in this subsection allocated to a taxpayer from a partnership in respect of a particular fiscal period of the partnership shall, notwithstanding any other provision of this Act, be included in computing his income for the taxation year in which that fiscal period of the partnership ends”. ...
FCTD
Her Majesty the Queen v. Gordon a Bryce, [1980] CTC 401, 80 DTC 6304
The defendant, in 1975, paid the following: Mortgage $2,148.00 Taxes 655.99 Water & Sewer 151.50 Cablevision 59.40 $3,014.89 One-half of those amounts were paid for the benefit of the defendant’s former wife. ...
T Rev B decision
John J Neder v. Minister of National Revenue, [1980] CTC 2031, 80 DTC 1040
Background In April 1971, the appellant purchased the subject property, namely an 105-acre farm being lots 13 and 14, Concession 8, Zone Township, in the Province of Ontario, known municipally as RR # 1, Bothwell, for a consideration of $10,000. ...
T Rev B decision
Swire Enterprises Limited v. Minister of National Revenue, [1980] CTC 2107, 80 DTC 1109
The respondent in support of his contentions cited J Clark & Son Limited v MNR, 18 Tax ABC 196; 57 DTC 567; Stanley J Merrett v MNR, 18 Tax ABC 344; 58 DTC 88; Frederick R Phillips v MNR, 28 Tax ABC 81; 61 DIC 677; Ben's Limited v MNR, [1955] CTC 249; 55 DTC 1152; Burrows Motors Limited v MNR, 12 Tax ABC 294; 55 DTC 172. ...
T Rev B decision
Trans Canada Holdings Limited* v. Minister of National Revenue, [1980] CTC 2791, 80 DTC 1689
Minister of National Revenue, [1980] CTC 2791, 80 DTC 1689 D E Taylor:—These appeals, heard in the City of Toronto, Ontario, on June 24 & 25, 1980, are against income tax assessments for the years 1970 and 1971 respectively. ...
T Rev B decision
William T Harvey v. Minister of National Revenue, [1980] CTC 2826, 80 DTC 1701
The letter and document read as follows: Letter TRANTER December 20, 1977 Mr William T Harvey 3400 Rhonda Valley # 50 Mississauge, Ontario, Canada L5A 3L9 Dear Bill: Please take notice, that we hereby accept surrender of all your options to purchase Tranter stock, in accordance with our agreement of December 9, 1977. ...