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TCC

Giulio Magliocchetti v. Her Majesty the Queen, [1996] 3 CTC 2660 (Informal Procedure)

.: This appeal is from reassessments of the taxpayer for the 1991 and 1992 taxation years, notices of which were allegedly mailed to the Appellant on May 6, 1994, in which the Minister disallowed the deduction of rental losses, carrying charges and expenses. ...
FCTD

Olympia Interiors Ltd. v. R., [1997] 2 CTC 70

Attached hereto and marked exhibit “C” to this my affidavit are true copies of pgs. 48 & 49 of the examination. 4. ...
FCTD

SMC Pneumatics (Canada) Ltd. v. M.N.R., [1997] 2 CTC 321

(my emphasis) Facts On February 22, 1990, the Secretary of the Machinery & Equipment Advisory Board (MEAB) signed an Application for Duty Remission under the Machinery Program (Application #2037644), submitted by W.C.I. ...
TCC

Latsay v. R., [1997] 2 CTC 2125

. For resuming the male role, I should be treated equally and given the same male deduction of ITA sec 60(b). ...
TCC

Foulds v. R., [1997] 2 CTC 2660

Subparagraph 56(l)(n)(i) states: (/) The aggregate of all amounts (other than amounts described in paragraph q), amounts received in the course of business, and amounts received in respect of, in the course of or by virtue of an office or employment) received by him in the year, each of which is an amount received by the taxpayer as or on account of a scholarship, fellowship or bursary, or a prize for achievement in a field of endeavour ordinarily carried on by the taxpayer other than a prescribed prize),... ...
TCC

Barker v. R., [1998] 1 CTC 2538

Dukelow and Betsy Nuse, in part as follows: “Pecuniary support including support or alimony to be paid to someone who is not a spouse. [...] ...
TCC

Yakubu v. R., [1998] 1 CTC 2649

Attached to the letter is a single sheet of paper entitled ‘Appraisal for Parkland Savings & Credit Union’. ...
TCC

Lannuzzi v. R., [1998] 1 CTC 2671, 98 DTC 1278

The assessments impose upon the Appellants the outstanding liability of the various companies for source deductions made by the companies from their employees for income tax, both federal and provincial, and for contributions under the Unemployment Insurance Act (as it then was called), and the Canada Pension Plan, together with penalties and interest. [1] The assessments in question are as follows: Company Assessment date Amount for Daniel lan nuzzi Daisons January 20, 1993 $175,245.15 Corcan January 20, 1993 $575,012.97 Fotoset January 20, 1993 $302,848.10 VitaSana January 20, 1993 $ 52,302.75 for Elena Caprile Daisons January 20, 1993 $175,245.15 Corcan September 21, 1994 $657,093.51 By agreement of the parties, the six appeals were heard together on common evidence. ...
TCC

Barker v. R., [1998] 1 CTC 3059

Dukelow and Betsy Nuse, in part as follows: “Pecuniary support including support or alimony to be paid to someone who is not a spouse. [...] ...
FCA

Robertson v. R., [1998] 3 CTC 147, 98 DTC 6227

[12] What is the line which separates the two classes of cases may be difficult to define, and each case must be considered according to its facts; the question to be determined being Is the sum of the gain that has been made a mere en- hancement of value by realising a security, or is it a gain made in an operation of business in carrying out a scheme for profit-making? ...

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