Search - 2002年 抽纸品牌 质量排名

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FCTD

Filenet Corp. v. The QueenL, 2001 FCT 865

Canada (Registrar of Trade-marks) (T.D.) [2002] 1 F.C. 266 Date: 20010807 Docket: T-425-00 Neutral Citation: 2001 FCT 865 BETWEEN: FileNET Corporation Applicant- and- THE REGISTRAR OF TRADE-MARKS, HER MAJESTY THE QUEEN IN RIGHT OF CANADA AS REPRESENTED BY THE MINISTER OF NATIONAL REVENUE Respondents                                             REASONS FOR ORDER AND ORDER BLAIS J. [1]                 This is an application for judicial review pursuant to section 18.1 of the Federal Court Act, R.S.C. 1985, c. ...                                     [22]            In light of the above decision, the relevant application in the case at bar is the application for judicial review filed by the applicant. 2. ... Pierre Blais                                           Judge OTTAWA, ONTARIO August 7, 2001 ...
FCTD

Abbott Laboratories Ltd. v. Canada (Minister of National Revenue), 2004 FC 140

Le Clair's name between July 11, 2002 and July 16, 2002, the applicants say: (a)        CCRA failed to comply with section 42.2(2) of the Act because no statements of fact and law were provided on the basis the exporter did not receive Mr. ... Le Clair's name on July 11, 2002, and on July 22, 2002, applicants complain: (a)        of conflicting tariff information and purported change to the tariff classification; (b)        the decisions mis-described the imports as Similac when the product was Isomil, a product which CCRA has now recognized as being a non intended good for which refunds have already been made; (c)        breach of section 42.2(2). [30]            In respect to eight decisions for the product Isomil issued by Catherine Knight on July 11, 2002, I do not intend to list the grounds for review as CCRA has now acknowledged Isomil was a non intended good for which duty increases have been refunded. [31]            The same can be said of two decisions, one each by Ross Le Clair the other by Catherine Knight, in respect of the product Osmolite. ... This product was a non intended good for which refund has been made. [33]            On June 18, 2002, Gordon Chan issued a decision in respect of Similac infant formula and Ensure food supplement. ...
FCTD

Couprie Fenton Inc. c. Canadian National Railway Company, 2006 FC 1418

Canadian Pacific Railway Co. et al. (2002), 224 F.T.R. 74) [37]            With respect to the federal law that sustains this issue, it is found in paragraph 113 (1)(c) and in subsection 116 (5) of the Canada Transportation Act, S.C. 1996, c.10, as amended.  ... Plaintiff and THE CANADIAN NATIONAL RAILWAY COMPANY Defendant     MOTION IN WRITING CONSIDERED IN MONTRÉAL WITHOUT APPEARANCE BY PARTIES   REASONS FOR ORDER:      PROTHONOTARY MORNEAU   DATED:                                    November 23, 2006       WRITTEN SUBMISSIONS:   J. ... Kenrick Sproule Montréal, Quebec FOR THE APPLICANT     Langlois Kronström Desjardins LLP Montréal, Quebec FOR THE RESPONDENT               ...
FCTD

Osmose-Pentox Inc. v. Société Laurentide inc., 2007 FC 504

  Richard Morneau Prothonotary FEDERAL COURT   SOLICITORS OF RECORD     DOCKET:                                           T-697-02   STYLE OF CAUSE:                           OSMOSE-PENTOX INC.                                                             ... Respondent   PLACE OF HEARING:                     Montréal, Quebec   DATE OF HEARING:                      April 30, 2007   REASONS FOR ORDER:                PROTHONOTARY MORNEAU   DATED:                                             May 10, 2007     APPEARANCES:   Jean-Luc Deveaux José Bonneau   FOR THE APPLICANT Alain Chevrier Pierre Archambault   FOR THE RESPONDENT   SOLICITORS OF RECORD:   Jean-Luc Deveaux Montréal, Quebec   Dagenais & Ass. Montréal, Quebec   FOR THE APPLICANT     FOR THE APPLICANT Dunton Rainville LLP Montréal, Quebec   FOR THE RESPONDENT       ...
FCTD

Canada (Minister of National Revenue) v. Singh Lyn Ragonetti Bindal LLP, 2005 DTC 5703, 2005 FC 1538

Singh Lyn Ragonetti Bindal LLP, 2005 DTC 5703, 2005 FC 1538                       Date: 20051115 Docket: T-12-05 Citation: 2005 FC 1538 Calgary, Alberta, November 15, 2005 PRESENT:      THE HONOURABLE MR. ... The issue in these proceedings is whether the records sought by the applicant are protected by solicitor-client privilege. [2]                The Minister's department, Canada Customs Revenue Agency ("CCRA") commenced an audit of 173 individual Registered Retirement Savings Plan ("RRSP") annuitants respecting transactions in 2001 and 2002. ... Fink, [2002] 3 S.C.R. 209 for determining questions of privilege in relation to the search for and seizure of records from lawyers' offices. [14]            The Lavallee principles, among other things, require that every effort should be made to contact potential clients and to give them a reasonable opportunity to assert a claim of privilege and, if contested, to have the issue judicially determined. ...
FCTD

Nguyen v. Canada (Public Safety and Emergency Preparedness), docket T-2032-06

Canada, 2002 FCJ no. 523 at paragraph 13), the Minister's delegates at the Recourse Directorate, who have been specially trained by the Royal Canadian Mounted Police (Sellathurai at paragraph 49), have greater expertise than the Court. ...   [64]     The application is thus dismissed with costs in the cause.         JUGDMENT THE COURT ORDERS AND ADJUDGES that             1.         The application for judicial review is dismissed with costs in the cause.       ...
FCTD

Maloney v. Canada (Attorney General), 2024 FC 1474

The Applicant’s Debts and Tax History [10] The Applicant was reassessed for the 2000, 2001, 2002 and 2003 taxation years, and the losses he claimed were disallowed. ... The Applicant’s Request for Taxpayer Relief [14] The Applicant submitted a formal request for taxpayer relief dated September 7, 2018 to obtain relief from late-filing penalties and arrears interest assessed against the Applicant on his 2000, 2001, 2002 and 2003 taxation years [the Request for Taxpayer Relief or the Request]. [15] According to the CRA, as of January 31, 2024, the Applicant has an outstanding balance of $478,166.27 for the 2002, 2003, 2008 and 2009 taxation years, with approximately $3,671.63 occurring in interest charges each month. ... DATED: SEPTEMBER 19, 2024 APPEARANCES: Roger Maloney FOR THE APPLICANT (ON HIS OWN BEHALF) Ian Pillai FOR THE RESPONDENT SOLICITORS OF RECORD: Attorney General of Canada Toronto, Ontario FOR THE RESPONDENT   ...
FCTD

Loree v. Canada (Attorney General), 2004 FC 883

As of September 11, 2002, the CCRA recorded a debt for the personal income tax accounts of $21, 399.66 for Ms. ... Broken down this constituted $21,418.80 in principal and $14,729.43 in interest. [2]                Following registration of a certicate in lieu of judgment by CCRA, the couple sold their family home in the fall of 2002 and with the proceeds paid the outstanding principal and interest on their income tax debts and on their company's GST tax debts. [3]                Their application for a waiver or cancellation of interest paid on their personal income tax debt was denied in the first instance on September 26, 2002, and the second level request was denied on June 9, 2003. ... ATTORNEY GENERAL OF CANADA                                                                               PLACE OF HEARING:                    Kelowna, BC DATE OF HEARING:                      June 17, 2004 REASONS FOR ORDER AND ORDER:                           VON FINCKENSTEIN J. ...
FCTD

Bear v. Canada (Attorney General), 2001 FCT 1192

Canada (Attorney General) (T.D.) [2002] 2 F.C. 356                                                                                                                           Date: 20011101                                                                                                                          Docket: T-46-00                                                                                               Neutral Citation: 2001 FCT 1192 Between:                                                               ROSE BEAR,                                                                                                                                      Applicant,                                                                     - and-                                        ATTORNEY GENERAL OF CANADA,                                                                                                                                 Respondent.                                                     ... Order Sought [2]                 The applicant seeks the following remedies: a.        ... They follow the event. [133]        A notice of a constitutional question has been duly served.                                                                                                                                      ...
FCTD

Ghermezian v. Canada (Attorney General), 2020 FC 1137

It requests production of information and documents relating to T5MN, including the historical asset holdings of T5MN and related entities and financial statements of T5MN. [53]   In referring to information requested in connection with entities related to T5MN, GEI-29 states, “This information is only requested in respect of entities that were not acquired or held at any time, directly or indirectly, by any of the Ghermezian Family Trusts settled on September 1, 2002 and August 15, 2002 (commonly referred to as the Royce and Regent Trusts).” ... Family Trusts (Mall of America) settled on August 15, 2002 and September 1, 2002, described as commonly referred to as the Royce and Regent Trusts. ... The taxpayer has been made aware that the CRA has found that the 1997 UK settled trust is factually (or alternatively, deemed) resident of Canada; In 2002, the group created eight family trusts in the United States. ...

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