Search - 2002年 抽纸品牌 质量排名
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FCTD
Auburn v. Canada (Attorney General), 2025 FC 785
Auburn herself and the applicable CRB guidelines under the section Self-employment income, as previously recognized by our Court (Aryan at para 33; Crook v Canada (Attorney General), 2022 FC 1670 at paras 18-20; see also Guillemette at paras 17-20 citing Stewart v Her Majesty the Queen, 2002 SCC 46 at para 54). [52] Two last comments. ... The Decision “bears the hallmarks of reasonableness – justification, transparency and intelligibility” (Vavilov at para 99). [59] Moreover, Ms. ... Blank “Danielle Ferron” Blank Judge FEDERAL COURT SOLICITORS OF RECORD DOCKET: T-1771-22 STYLE OF CAUSE: SHELBY AUBURN v. ...
FCTD
Iris Technologies Inc. v. Canada (National Revenue), 2021 FC 526
Standard of Review [14] The Federal Court of Appeal in Hospira Healthcare Corp v Kennedy Institute of Rheumatology, 2016 FCA 215 at paras 64-65 established that the standard of review from Housen v Nikolaisen, 2002 SCC 33 applies when judges review orders of prothonotaries pursuant to Rule 51. ... Therefore, the Application is not bereft of any chance of success, as issues of procedural fairness and abuse of powers do not fall within the jurisdiction of the TCC. …. 35. … This Application concerns the conduct of the Minister in exercising the discretion granted under the COVID-19 measures. ... Addison & Leyen Ltd., 2007 SCC 33 at paras. 10-11, [2007] 2 S.C.R. 793). ...
FCTD
Canada (National Revenue) v. Shopify Inc., 2025 FC 969
Respondent ORDER AND REASONS Table of Contents TOC \o "1-5" \h \z \u I. ... Mac, 2002 SCC 24, [2002] 1 S.C.R. 856, at para. 5). The shared meaning is generally preferred unless other indicators of legislative intent suggest that the shared meaning is inappropriate (Doré v. ... (b), Exhibit “B” – “Draft requirement”; Kalil Affidavit at para 19, AR at 16). ...
FCTD
McCallum v. Peter Ballantyne Cree Nation, 2019 FC 898
She was also asked questions by the Appeal Tribunal. c) Eric Nateweyes [71] In his testimony, Mr. ... Giroux was able to respond to the allegations by referring to the Sound decision, and another decision, as they related to the validity of the 2002 amendments to the Regulations. ... PBCN submits that the issues raised by the Applicant are not solely in the public interest and do not extend beyond his own immediate interests (Cowessess First Nation No. 73 v Pelletier, 2017 FC 859 paras 16, 23–24 [Pelletier]; Raymond Willier v Sucker Lake Indian Band #150A, 2002 FCT 192 at paras 13, 18, 22) ...
FCTD
Maliqi v. Canada, 2024 FC 1121
He had previously requested a travel document “within that eligible period” – on March 13, 2016 – and was given “misleading instructions” instead of a travel document. ... "Patrick Gleeson" Judge FEDERAL COURT SOLICITORS OF RECORD DOCKET: T-1553-23 STYLE OF CAUSE: ADRIAN MALIQI v HIS MAJESTY THE KING AND MINISTER OF IMMIGRATION, REFUGEES AND CITIZENSHIP PLACE OF HEARING: Toronto, Ontario DATE OF HEARING: July 2, 2024 ORDER AND reasons: GLEESON J. DATED: july 17, 2024 APPEARANCES: Adrian Maliqi For The Plaintiff (ON HIS OWN BEHALF) Lorne McClenaghan For The Defendants SOLICITORS OF RECORD: Attorney General of Canada Toronto, Ontario For The Defendants ...
FCTD
Elson v. Canada (Attorney General), 2017 FC 459
And, finally, the valid exercise of s 91(12) requires a connection to the fishery as a resource and the PIIFCAF Policy has no such connection (Fowler v The Queen, [1980] 2 S.C.R. 213; Northwest Falling Contractors Ltd v The Queen, [1980] 2 S.C.R. 292; Ward v Canada (Attorney General), 2002 SCC 17 at paras 20-24, 34-36, 41-49 (“ Ward ”)). ... British Columbia (Minister of Small Business, Tourism and Culture), [2002] 2 S.C.R. 146, 2002 SCC 31, at paras. 53-54, a case involving provisions of the Heritage Conservation Act, R.S.B.C. 1996, c. 187: A pith and substance analysis looks at both (1) the purpose of the legislation as well as (2) its effect. ... Pentney Deputy Attorney General of Canada Ottawa, Ontario For The Respondent ...
FCTD
Bangladesh v. Canada (Attorney General), 2019 FC 1177
President Rahman is considered by many to be the Father of the Bangladeshi nation. [3] In 2002, Mr Chowdhury and his wife were found to be excluded from refugee protection for having committed a serious non-political crime. ... III. Issue Two – Should portions of the affidavits filed by Bangladesh be struck? ... DATED: September 17, 2019 APPEARANCES: John Terry Ryan Lax Jonathan Silver For The Applicant James Todd Veronica Cham For The Respondent THE ATTORNEY GENERAL OF CANADA Unrepresented For The RESPONDENT NUR CHOWDHURY SOLICITORS OF RECORD: Torys LLP Barristers and Solicitors Toronto, Ontario For The Applicant Deputy Attorney General of Canada Toronto, Ontario For The Respondent THE ATTORNEY GENERAL OF CANADA Jackman, Nazami and Associates Barristers and Solicitors Toronto, Ontario For The RESPONDENT NUR CHOWDHURY ...
FCTD
Lund v. Canada (Attorney General), 2006 DTC 6367, 2006 FC 640
Justice Barnes BETWEEN: LAWRENCE NELSON LUND Applicant(s) and ATTORNEY GENERAL FOR CANADA Respondent(s) REASONS FOR JUDGMENT AND JUDGMENT [1] This is an application by Lawrence Lund for judicial review in connection with a decision made by the Canada Revenue Agency (CRA) denying a request for relief from interest on tax arrears for the 1996, 2001 and 2002 taxation years; [2] The decision in question was made pursuant to the so-called "fairness" provisions of the Income Tax Act, R.S.C. 1952, c. 148 and, specifically, section 220(3.1). ... Barnes" Judge FEDERAL COURT NAMES OF COUNSEL AND SOLICITORS OF RECORD DOCKET: T-217-05 STYLE OF CAUSE: LAWRENCE NELSON LUND v. AGC PLACE OF HEARING: Van couver, British Columbia DATE OF HEARING: May 9, 2005 REASONS FOR ORDER AND ORDER: BARNES, J DATED: May 25, 2006 APPEARANCES: Mr. ...
FCTD
Canada (Minister of National Revenue) v. HSBC Bank of Canada, 2004 FC 467
Canada (Minister of National Revenue), [2002] 2 S.C.R. 720, to argue that the security provided for in favour of the Minister at subsections 227(4) and (4.1) of the Act is akin to a floating charge over all of the tax debtor's assets. ... JUDGMENT This Court's judgment is that: 1. The action is allowed. 2. ... "Johanne Gauthier" Judge FEDERAL COURT NAMES OF COUNSEL AND SOLICITORS OF RECORD DOCKET: T-1335-01 STYLE OF CAUSE: Her Majesty the Queen in Right of Canada as represented by the Minister of National Revenue v. ...
FCTD
Krahn v. Canada (Customs and Revenue Agency), 2005 FC 471
* * * * * * * * * * 3. ... Canada, [2002] 2 C.T.C. 130; and Case v. Canada, [2004] F.C.J. No. 1026. [12] I am inclined to think that, in this case, the Applicant is really pursuing a collateral attack on the assessment which has already been before the Tax Court. ... Strayer" Deputy Judge FEDERAL COURT OF CANADA NAMES OF COUNSEL AND SOLICITORS OF RECORD DOCKET: T-1638-03 STYLE OF CAUSE: JACOB A. ...