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TCC

Placements T.S. Inc. v. The Queen, 94 DTC 1302, [1994] 1 CTC 2464 (TCC)

What is “reasonable” is not the subjective view of either the respondent or appellant but the view of an objective observerwith a knowledge of all the pertinent facts: Canadian Propane Gas & Oil Ltd. v. ...
TCC

Miramar Shoe Imports Limited v. Minister of National Revenue, 91 DTC 317, [1991] 1 CTC 2124 (TCC)

Nevill & Co. Ltd. v. Federal Commissioner of Taxation a lump sum paid to get rid of an unnecessary director was held to be a revenue payment since •The purpose was transient and, although not itself recurrent, it was connected with the ever-recurring question of personnel" (per Dixon, J.). ...
TCC

533702 Ontario Ltd. v. MNR, 91 DTC 982, [1991] 2 CTC 2102 (TCC)

The only business name displayed on the premises at 833 Central Avenue was the name "Brouwer Plumbing & Heating". ...
TCC

Brock v. MNR, 91 DTC 1079, [1991] 2 CTC 2121 (TCC)

McAlpine, Roberts & Company, 37 B.C.L.R. 332. 5 Section 2. 6 In the matter of the Solicitors Act: and in the matter of Lang, Michener, Cranson, Farquharson and Wright, and Eileen Newell, Ont. ...
TCC

Haynes v. The Queen, 94 DTC 1906, [1995] 1 CTC 2515 (TCC)

Payments were made by Haynes Research Corporation on behalf of Fuji to Maitland & Co. for the purchase of the house and a further sum to Kin Ken Holdings for the purchase of the automobile. ...
TCC

Tuyauteries Saglac Inc. v. MNR, 93 DTC 40, [1992] 2 CTC 2727 (TCC)

. heating system, air- conditioning equipment, sprinkler system, plumbing, wiring, etc.). ...
TCC

Bouchard Estate v. MNR, 93 DTC 1511, [1993] 2 CTC 3003 (TCC)

Napoléon Bouchard realized a capital gain of $153,810, hence a taxable capital gain of $76,905: Proceeds of disposition Fair market value at date of death (23/12/84) $228,000 Less: Median adjusted cost base: Cost Fair market value $57,100 Disposition $228,000 $57,100 Capital gain $170,900 Portion exempted as a result of a rollover (10 per cent) $17,090 Capital gain $153,810 Revised taxable capital gain (50 per cent) $76,905 [Translation.] ...
TCC

Red Deer Adviser Publications Ltd. v. MNR, 89 DTC 520, [1989] 2 CTC 2315 (TCC)

.: Red Deer Adviser Publications Ltd. appeals from a reassessment of income tax for its 1981 taxation year. ...
TCC

Kraft v. Minister of National Revenue, 99 DTC 693, [1999] 3 CTC 2185 (TCC)

. = whole body, company. 6. Used by Tindale to translate [illegible text] in the N.T., and much used by the Eng. ...
TCC

Young v. The Queen, 92 DTC 2387, [1993] 1 CTC 2015 (TCC)

Paragraph 4 also provides that Exhibit A-2 is "deemed to be terminated" and the Youngs discharge KFC from any claims and demands... arising out...” of Exhibit A-2. ...

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