Search - 2002年 抽纸品牌 质量排名
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FCTD
Poitras v. Twinn, 2013 FC 910
Aalto, Esquire, Case Management Judge BETWEEN: ELIZABETH BERNADETTE POITRAS Plaintiff and WALTER PATRICK TWINN, THE COUNCIL OF THE SAWRIDGE BAND, THE SAWRIDGE BAND AND HER MAJESTY THE QUEEN IN RIGHT OF CANADA AS REPRESENTED BY THE MINISTER OF INDIAN AFFAIRS AND NORTHERN DEVELOPMENT Defendants REASONS FOR ORDER AND ORDER [1] Many gallons of judicial ink have been spilled in this case as it has inched its way along since 1989 to the present. ... Canada, 2001 FCA 338 at paragraph 11, [2002] 2 F.C. 346. [10] In our view, the appellants have not shown any reversible error on the part of the case management judge that would warrant permitting the Band to relitigate the constitutional issues ... Paragraphs 9 – 12 are struck but with leave to amend. 3. ...
FCTD
MacKay v. Canada (National Revenue), 2008 FC 1074
BACKGROUND [4] The background is comprehensibly described in a decision by Justice Mogan of the Tax Court of Canada of October 30, 2002. ... There is no order as to costs. “Sandra J. Simpson” Judge FEDERAL COURT SOLICITORS OF RECORD DOCKET: T-107-07 STYLE OF CAUSE: DR. ... DATED: SEPTEMBER 23, 2008 APPEARANCES: Dr. ...
FCTD
Leblanc v. Canada (Attorney General), 2010 FC 688
At the hearing on October 24, 2002, the Minister and the applicant advised the presiding Judge that they had reached an agreement to settle the appeal. ... He submits that the taxation years 1998, 1999 and 2000 were captured by the Settlement Agreement by counsel for the Ministers on October 24, 2002, to help “close the deal.” ... [27] I have considered the Transcript of the proceedings before the Tax Court on October 24, 2002, the Settlement Agreement, and the letter of Joanne Ralla, which the applicant submitted. ...
FCTD
Canada (National Revenue) v. Googolplexion for Human Rights Inc. (Nelson's International Home Auto Depot Inc.), 2011 FC 1270
BETWEEN: THE MINISTER OF NATIONAL REVENUE Applicant and FRIENDS OF GOOGOLPLEXION FOR HUMAN RIGHTS INC. ... Respondent REASONS FOR JUDGMENT AND JUDGMENT I. ... [6] As a result of the various proceedings, Mr. Nelson was declared a vexatious litigant in the British Columbia Supreme Court in 1981, in the British Columbia Court of Appeal in 2006, and in the Federal Court and in the Federal Court of Appeal in 2002 and 2003 respectively. ...
FCTD
Jaballah v. Canada (Citizenship and Immigration), 2019 FC 1051
Jaballah became a protected person when he received a positive decision in his August 2002 Pre-Removal Risk Assessment [PRRA], which is discussed in paragraph 98.1 of Jaballah (Re), 2003 FCT 640 [Jaballah 2003]. [44] The Applicants also say that the danger finding originally made against Mr. ... To the contrary, in paragraph 100, Justice MacKay says “... The motion would have been unnecessary were it not for the continuing unexplained delay in deciding the application for protection, a delay which continues to this day.” [47] The Respondent submits that the August 2002 PRRA only provided Mr. ... A handwritten entry on page 2 of the Travel Document Application then adds “+ PRRA Aug 2002”, “See counsel’s letter” and “+ IRCC LETTER Jan 30/18”, being the letter requesting Mr. ...
FCTD
Sutherland v. Canada (Canada Customs and Revenue Agency), 2006 FC 154
* * * * * * * * [2] Julie Deborah Sutherland (the "applicant") had been assessed by Canada Revenue Agency ("CRA") interest and penalties related to her income tax returns for the years 1994 to 2001 arising from her late payment of income taxes on her disability pension from 1994 to 2000, as well as her late filing of returns for 1999 and 2000. [3] In April 2002, the applicant paid her outstanding debt to the CRA. [4] In 2003, the applicant applied to the Minister pursuant to subsection 220(3.1) of the Income Tax Act, R.S.C. 1985, c. 1 (5 th supp.) ... * * * * * * * * [11] The relevant provisions of the Act are as follows: 220 ... It was only the taxes associated with those returns which were not paid until 2002. [23] Additionally, the applicant had been reminded annually since 1994 that she should arrange for source deductions to be taken from her disability pension. ...
FCTD
Slau Limited v. Canada (National Revenue), 2008 FC 1142
That is a matter for CRA to refund. Power of the Court [53] Under subsection 18.1(3) of the Federal Courts Act, R.S., 1985, c.F-7, S., 2002, c.8, s.14, the Court may order a federal board or other tribunal to do any act or thing it has unlawfully failed or unreasonably delayed in doing. ... CANADA REVENUE AGENCY PLACE OF HEARING: Ottawa, Ontario DATE OF HEARING: English REASONS FOR JUDGMENT: KELEN J. DATED: October 8, 2008 APPEARANCES: Mr. ...
FCTD
Canada (National Revenue) v. Reddy, 2008 FC 208
Justice Lemieux BETWEEN: THE MINISTER OF NATIONAL REVENUE Applicant and VALLIAMMA REDDY Respondent REASONS FOR JUDGMENT AND JUDGMENT I. ... Reddy is under the Excise Tax Act for GST related to her son's undeclared income in 2000, 2002 and 2003 and is different from the section 160 assessment under the Income Tax Act for third party transfers upon which the Jeopardy Order was sought. ... VALLIAMMA REDDY PLACE OF HEARING: Vancouver, BC DATE OF HEARING: February 4, 2008 REASONS FOR JUDGMENT AND JUDGMENT: LEMIEUX J. ...
FCTD
Alouache v. Canada (Minister of Citizenship and Immigration), 2003 FC 858
(ii The letter of April 25, 2002, contains no specific details relating to Ms. ... Wu, 2002 FCT 579, [2002] F.C.J. 765 (QL)]. The Court must determine whether the citizenship judge correctly applied one of the accepted residence tests. ... (ii The Court also notes that, as in Melevsky v. M.C.I., 2002 FCT 1148, [2002] F.C.J. 1554 (QL), Judge Springate seems to have again required a higher burden of proof than the ordinary civil burden. ...
FCTD
Dorel Industries Inc. v. Canada (Border Services Agency), 2014 FC 175
Such an interpretation, however, would run against the time-honoured presumption of statutory interpretation that Parliament does not intend to confer a power on subordinate authorities to make regulations or orders that are retroactive: Sullivan and Driedger on the Construction of Statutes, 4 th ed., (Ottawa: LexisNexis, 2002), at 546. ... DATED: February 24, 2014 APPEARANCES: Michael Kaylor For The Applicant Lisa Morency Jacques Savary For The Respondent SOLICITORS OF RECORD: Lapointe Rosenstein Marchand Melançon LLP Montréal, Québec For The Applicant William F. Pentney Deputy Attorney General of Canada Montréal, Québec For The Respondent ...