Search - 2002年 抽纸品牌 质量排名

Results 131 - 140 of 844 for 2002年 抽纸品牌 质量排名
FCTD

Hernandez (Re), 2008 FC 1105

Although the respondent stated that he was an employee of Her-Comm Inc., employment income only appears in his income tax returns for the 2000 to 2002 taxation years. ...   [9]                  The following information did not appear on the Agency’s initial interview questionnaire, which the respondent completed on June 28, 2006: On or about September 6, 2002, the respondent acquired two vacant parcels of land located in the La Plainte sector in Terrebonne. ...   [11]              According to the affidavit of Scynthia Plante, Resource and Complex Case Officer, Revenue Collections, at the Agency’s Tax Services Office: ·         The respondent did not file his income tax returns for the years 1996 to 1999; ·         The respondent filed his income tax returns late for the years 2000 to 2002, 2004 and 2006; ·         Between 2002 and 2005, the respondent received a total amount of approximately $129,120 as income replacement indemnities from the Société d’assurance automobile du Québec; ·         Income replacement indemnities from the Société d’assurance automobile du Québec are not taxable and thus did not need to be reported to the Agency; ·         As of February 26, 2008, Her-Comm Inc. was the owner and lessee of a number of vehicles and trailers; ·         On March 20, 2008, three exemptions from seizure were registered in the register of personal and movable real rights in the respondent’s name. ...
FCTD

North Vancouver Airlines Ltd. v. Canada (Minister of National Revenue), 2006 FC 531

As noted, the applicant ceased operations on March 30, 2003. [22]       The applicant's troubles with the Agency first arose from an audit, concluded in May 2002, of the applicant's GST returns for the period from the 1 st of April, 1998 to March 31, 2001. ... The applicant also, on September 24, 2002 applied to the Minister for a waiver of interest and penalties. [24]       On February 13, 2003, the Minister allowed, in part, the applicant's objection. ... As a result the principal amount of GST debt is not contested by the applicant. [25]       On February 18, 2003, the Minister denied the applicant's September 24, 2002 request for a waiver of penalty and interest. ...
FCTD

Hazan (Re), docket T-1122-06

Following an audit by the Canada Revenue Agency (“the Agency”), the applicant’s income for both 2001 and 2002 was adjusted in the following manner:- For 2001, the applicant had reported a total income of $9,672; the audit determined a revised taxable income of $375,295.- For 2002, the applicant had reported an income of $9,759; the audit determined a revised taxable income of $208,899 ...   [3]                            Subsequently, the applicant objected to the notices of assessment dated January 31, 2005, for the additional income thus attributed to the 2001 and 2002 taxation years. ... Qu, [2002] 3 F.C. 3 (C.A.)).       [13]                        In my view, the evidence presented by the taxpayer applicant does not raise any reasonable doubt as to the sufficiency of evidence that was initially submitted by the minister in support of his ex parte application (see The Queen v. ...
FCTD

Afriat v. Canada (Citizenship and Immigration), 2007 FC 1011

Applicant Alon Afriat is the applicant’s minor son.       I.          ... Facts   [4]                The applicant arrived in Canada on August 8, 2002, together with her son, Alon Afriat, who was born on December 10, 1992 ... “Simon Noël” Judge                             FEDERAL COURT   SOLICITORS OF RECORD       DOCKET:                                           IMM-944-07   STYLE OF CAUSE:                           ZOHAR AFRIAT & ALON AFRIAT and THE MINISTER OF CITIZENSHIP AND                         IMMIGRATION (MCI)       PLACE OF HEARING:                     Montréal, Quebec   DATE OF HEARING:                       September 27, 2007   REASONS FOR JUDGMENT AND JUDGMENT:                           Simon Noël J.   ...
FCTD

Gilbert v. Canada (National Revenue), 2014 FC 890

[Sécovac] from the moment it was incorporated in 1996, until it was struck off the register in May 2000. [4]                In order to understand the position of the parties, a brief description of the three notices of assessment issued to the applicant by the Minister of National Revenue will be helpful. [5]                The first of these notices of assessment was established on June 6, 2002, pursuant to section 160 of the Income Tax Act, RSC 1985, c 1 (5th Suppl.) ... DATED: SEPTEMBER 22, 2014   APPEARANCES: Pierre Gilbert   REPRESENTING HIMSELF   Stéphanie Coté   FOR THE RESPONDENT   SOLICITORS OF RECORD: Pierre Gilbert Montréal, Quebec   REPRESENTING HIMSELF   William F. Pentney Deputy Attorney General of Canada Montréal, Quebec   FOR THE RESPONDENT     ...
FCTD

Ritter v. Canada (National Revenue), 2013 FC 411

Justice de Montigny     BETWEEN:   JOHN RITTER       Applicant   and       MINISTER OF NATIONAL REVENUE       Respondent                      REASONS FOR JUDGMENT AND JUDGMENT   [1]                This is an application for judicial review by John Ritter (the Applicant) of a decision by the Canada Revenue Agency (CRA, the Respondent), dated January 24, 2012, to issue a Requirement to Pay (RTP) to the Canada Imperial Bank of Commerce (CIBC) in an effort to collect the Applicant’s tax debt. ... Accordingly, the Applicant should have commenced proceedings on or before March 2002. ... Pentney Deputy Attorney General of Canada Calgary, Alberta FOR THE RESPONDENT                   ...
FCTD

Duncan v. Canada (Attorney General), 2013 FC 319

    [7]                Similar affirmations were made in two other submissions to the government, both dated 2006, asserting that the Applicant was not a resident of Canada from 2002 until at least 2006.  ...   [34]            In addition, the Applicant cannot seriously contend that he was prevented from making full submissions because he relied on the October 20, 2011 letter to establish residency from 2002 to 2007.  ... [38]            The granting of a full or partial OAS pension to the Applicant depends on a determination of his residency, if any, in Canada, between 2002 and 2008. ...
FCTD

Medovarski v. Canada (Minister of Citizenship and Immigration), 2003 FCT 634

She received a Notice to Appear from the IAD, dated April 24, 2002, stating that her appeal would be heard on September 26, 2002. ... (Toronto: Butterworths, 2002) at 80).    [19]            The Respondent referred me to P.A. ... Chieu v. 2002 SCC 3 "> Canada (Minister of Citizenship and Immigration), 2002 SCC 3, [2002] 1 S.C.R. 84; R. v. ...
FCTD

Source Enterprise Ltd. v. Canada (Public Safety and Emergency Preparedness), 2012 FC 966

Canada (Public Safety and Emergency Preparedness), 2012 FC 966     Date: 20120801 Docket: T-1520-11 Citation: 2012 FC 966 Vancouver, British Columbia, August 1, 2012 PRESENT:    The Honourable Madam Justice Mactavish       SIMPLIFIED ACTION   BETWEEN:   THE SOURCE ENTERPRISES LTD.       ... Merck & Co., [2002] F.C.J. No. 811, 2002 FCA 210.   [20]            Ultimately, the test is not whether a plaintiff cannot succeed at trial, but whether the case is so doubtful that it does not deserve consideration by the trier of fact at a future trial: see Ulextra Inc. v. ... DATED:                                             August 1, 2012       APPEARANCES:   Frank Shorrock   FOR THE PLAINTIFF   Erica Louie FOR THE DEFENDANTS       SOLICITORS OF RECORD:   Frank Shorrock, Director Vancouver, BC   FOR THE PLAINTIFF Myles J. ...
FCTD

Jenkins v. Canada (Revenue), 2007 FC 295

(the Act), with respect to personal income tax assessed for the 2002 and 2003 taxation years.   BACKGROUND [2]                The applicant filed her 2002 tax return on April 19, 2004, and her 2003 tax return on May 3, 2005, more than a year after their actual due date. ...   [17]            While the Minister did acknowledge the occurrence of a number of unfortunate events in the life of the applicant, it was also noted that the majority of these events occurred more than eight months before her 2002 tax return was due, and thus more than one year and eight months before it was actually filed. ...

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