Search - 2002年 抽纸品牌 质量排名

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FCTD

Oddi v. Canada (Revenue Agency), 2022 FC 1313

Oddi's personal income tax returns for the 2002 and 2003 taxation years, including unreported income of $56,000 for 2002 and $71,000 for 2003. [21] On January 23, 2009, CRA issued Notices of Assessment of the GST for the 2002 to 2007 years in the amount of $69,082.66 (the "GST Assessments"). ... Oddi requested an adjustment of his personal income tax returns for the 2002 to 2006 taxation years. ... Oddi's personal income tax debts for the 2002 to 2006 taxation years. ...
FCTD

Hauser v. Canada (Revenue), 2007 FC 113

(the Act), for waiver of interest and penalties with respect to the period from January 1, 1995 to December 31, 2002, on the following three grounds: (i) waiver of penalties; (ii) waiver of interest on grounds of extraordinary circumstances; and (iii) waiver of interest on grounds of financial hardship. ... Blanchard" Judge   FEDERAL COURT   SOLICITORS OF RECORD       DOCKET:                                           T-600-06   STYLE OF CAUSE:                           VERNA HAUSER v                                                             CANADA REVENUE AGENCY     PLACE OF HEARING:                     Vancouver, BC   DATE OF HEARING:                       January 30, 2007     REASONS FOR ORDER AND ORDER:                           BLANCHARD J.   ... Verna Hauser FOR THE APPLICANT (self-represented)   Mr. Dave Everett   FOR THE RESPONDENT       SOLICITORS OF RECORD:   n/a FOR THE APPLICANT   Mr. ...
FCTD

Microsoft Corporation v. 9038-3746 Quebec inc., 2007 FC 1235

., 2007 FC 1235       Date: 20071123 Docket: T-1502-00 Citation: 2007 FC 1235 [ENGLISH TRANSLATION] Montréal, Quebec, November 23, 2007 PRESENT: Richard Morneau, Esq., Prothonotary   BETWEEN: MICROSOFT CORPORATION Plaintiff and   9038-3746 QUEBEC INC. and 9014-5731 QUEBEC INC. and ADAM CERRELLI and CARMELO CERRELLI Defendants REASONS FOR ORDER AND ORDER [1]                The reasons for order and this order are pursuant to the objection raised at the hearing on November 19, 2007, by counsel for the defendant Carmelo Cerrelli and a corporation, VSOP WEB INC. ... “Richard Morneau” Prothonotary FEDERAL COURT   SOLICITORS OF RECORD     DOCKET:                                           T-1502-00   STYLE OF CAUSE:                           MICROSOFT CORPORATION                                                             Plaintiff                                                             and                                                             9038-3746 QUEBEC INC., and                                                             9014-5732 QUEBEC INC., and                                                             ADAM CERRELLI, and                                                             CARMELO CERRELLI                                                             Defendants   PLACE OF HEARING:                     Montréal, Quebec   DATE OF HEARING:                      November 19, 2007   REASONS FOR ORDER:                PROTHONOTARY MORNEAU   DATED:                                              November 23, 2007     APPEARANCES:   François Guay Marc-André Huot   FOR THE PLAINTIFF Neil G. Oberman   FOR THE DEFENDANTS   SOLICITORS OF RECORD:   Smart & Biggar Montréal, Quebec   FOR THE PLAINTIFF Michelin & Associates Montréal, Quebec   FOR THE DEFENDANTS   ...
FCTD

Lepiarczyk v. Canada (Revenue Agency), 2008 FC 1022

Justice O'Keefe     BETWEEN: ANDRZEJ JANUSZ LEPIARCZYK Applicant   and   CANADA REVENUE AGENCY Respondent     REASONS FOR JUDGMENT AND JUDGMENT   O’KEEFE J ... Moreover, the Notices of Assessment for 2002, 2003, 2004, and 2005 each identified the unused RRSP contribution available for the following taxation year, and with the exception of the Notice of Assessment for 2002, the remaining Notices of Assessment also warned the applicant that if the amount of unused RRSP contributions was more than his RRSP deduction limit for the following year, he may be subject to tax on the excess contributions. ... Sims Deputy Attorney General of Canada FOR THE RESPONDENT           ...
FCTD

Hughes v. Canada (Human Rights Commission), 2020 FC 1096

Astrazeneca Canada Inc., 2012 FC 559, at para 19; and Morin v R, 2002 FCT 1312, at para 109, which relied on the test in Andersen Consulting v R, [1998] 1 FC 605 (CA), at paras 13-14. [51]   In Andersen, the Federal Court of Appeal considered amendments that included the withdrawal of admissions made in a Statement of Defence. ... Sylvan Lake Golf & Tennis Club Ltd., 2002 SCC 19, [2002] 1 S.C.R. 678. ... LITTLE J.   DATED: November 30, 2020   WRITTEN SUBMISSIONS BY: Chris Hughes For The Applicant SELF-REPRESENTED   Malcolm Palmer FOR THE RESPONDENT   SOLICITORS OF RECORD: Chris Hughes   For The Applicant SELF-REPRESENTED   Daniel Poulin Malcolm Palmer Attorney General of Canada For The COMMISSION FOR THE RESPONDENT     ...
FCTD

Patterson v. Canada Revenue Agency, 2011 FC 1398

Canada Revenue Agency, 2011 FC 1398   Date: 20111201 Docket: T-569-11 Citation: 2011 FC 1398 Ottawa, Ontario, December 1, 2011 PRESENT:     The Honourable Madam Justice Snider     BETWEEN:   TRACEY PATTERSON       Applicant   and       CANADA REVENUE AGENCY       Respondent                      REASONS FOR JUDGMENT AND JUDGMENT   I.          ... After receiving this information, on November 18, 2010, a member of the Selection Board for the MG-05 competition contacted CRA’s Resourcing Centre of Expertise for the Ontario Region (CoE) to seek the following advice: My understanding is that since [the Applicant] had approved leave, I should ignore 4 years from May 4, 2005 to October 13, 2009 [the Family Leave] as well as June 16, 2003 to October 12, 2004 [Maternity and sick leave] and extend her experience back to 2002 to compensate for this leave. ... Kirvan Deputy Attorney General of Canada Ottawa, Ontario FOR THE DEFENDANT                     ...
FCTD

Belani v. Canada (Minister of Citizenship and Immigration), 2004 FC 1494

Despite this fact, she did not arrive in Canada until September 30, 2002, two years after she was raped and then left the marital home. She indicated her intention to claim refugee status on October 6, 2002. ... “Simon Noël”     Judge   FEDERAL COURT     SOLICITORS OF RECORD     DOCKET:   IMM-330-04   STYLE OF CAUSE: MALIKA BELANI     Applicant   And   THE MINISTER OF CITIZENSHIP AND IMMIGRATION     Respondent       PLACE OF HEARING:   Montréal, Quebec DATE OF HEARING:   October 21, 2004   REASONS FOR ORDER: The Honourable Justice Simon Noël   DATED:   October 29, 2004     APPEARANCES:   Johanne Doyon   FOR THE APPLICANT   Annie Van Der Meerschen   FOR THE RESPONDENT     SOLICITORS OF RECORD:   Doyon, Morin   FOR THE APPLICANT Montréal, Quebec   Morris Rosenberg   FOR THE RESPONDENT Deputy Attorney General of Canada Montréal, Quebec     ...
FCTD

Déziel (Re), 2006 FC 1481

Déziel appealed that assessment at the Tax Court of Canada (TCC), which dismissed his appeal with costs on December 6, 2002. ... Bouchard in 2002 to show his interest and he had even sent him an offer for $100,000 ... Gadbois, [2002] F.C.J. no 836, (F.C.A.)(QL), there is no doubt that the Court has the power to ensure that its judgments are enforced, and in that context, it may be required to dispose incidentally of issues under provincial law that are raised against that enforcement. ...
FCTD

Dominion Investments (Nassau) Ltd. v. Canada, 2007 FC 1110

A document prepared in support of their application and filed in September 2002 in the Superior Court of Québec record notes the following: As part of our financial investigation, we have, together with the RCMP, learned that Pelchat’s moneys are deposited into an investment account named Dominion Investments at the Royal Bank of Canada. ... Pilotte (2002), 163 C.C.C. (3d) 225 (C.A. Ont.) and, by analogy (in the context of an application made under section 486 of the Criminal Code, R.S.C. 1985, c. ...     [36]              This is why the CBC’s motion appears to me to be late. ...
FCTD

Canada (Minister of National Revenue) v. Orest Iwaschuk and Zowtra Investments Inc., 2004 FC 1602

The following chronology summarizes his evidence: November 2002            Mr. ... November 29, 2002      Mr. Sharif personally delivered a letter of this date to the Respondent at his office. ... December 23, 2002      Mr. Sharif personally delivered the Requirement to the Respondent at his office. ...

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