Search - 2002年 抽纸品牌 质量排名
Results 81 - 90 of 844 for 2002年 抽纸品牌 质量排名
FCTD
Canada (Minister of National Revenue) v. 9093-4134 Québec Inc., 2006 FC 683
., 2006 FC 683 Date: 20060602 Docket: T-2015-05 Citation: 2006 FC 683 Ottawa, Ontario, June 2, 2006 Present: Mr. Justice Blais BETWEEN: THE MINISTER OF NATIONAL REVENUE Applicant and 9093-4134 QUÉBEC INC. ... John Vathis, to answer to the request for information and documents dated September 26 th, 2005, issued under paragraph 231.2(2) of the ITA, in providing all the requested documents and information: [translation] · The record of wages, from January 2002 to December 2002; · The record of wages, from January 2003 to December 2003; · The record of wages, from January 2004 to December 2004; · The record of wages, from January 2005 to the date of receipt of the letter of requirement; · The names, social insurance numbers, addresses and telephone numbers of all the subcontractors who worked for your company during the years 2002 to 2005; · The bank statements and cancelled cheques covering the years 2002, 2003, 2004 and 2005 (for the same periods cited in paragraphs (1) to (4) above); · The minutes book of the corporation; and · The most recent financial statements as of the end of the company’s fiscal year; AND, if the Respondent is not able to provide some of the requested documents and information, the Administrator of the Respondent, Mr. ...
FCTD
Canada (National Revenue) v. Norris, docket T-643-02
Norris, docket T-643-02 Date: 20020422 Docket: T-643-02 Toronto, Ontario, Monday the 22 nd day of April, 2002 PRESENT: Roger R. Lafrenière, Esquire Prothonotary BETWEEN: MINISTER OF NATIONAL REVENUE Applicant - and- NEIL T. NORRIS Respondent DIRECTIONS [1] By letter dated April 18, 2002, counsel for the Applicant seeks directions from the Court pursuant to Rules 54 and 55 of the Federal Court Rules, 1998 authorizing the Applicant to institute proceedings under subsection 231.7 of the Income Tax Act by way of motion under Rule 358 et seq. rather than by way of application under Rule 300 et seq. ...
FCTD
Higgins v. Canada (Attorney General), 2014 FC 100
INTRODUCTION [1] This is the judicial review of a decision by the Minister’s Delegate allowing only partial relief from penalty and interest charged in relation to the 2001 and 2002 taxation years. ... BACKGROUND [2] In 2007 the Applicant was assessed for unreported income for the 2001 and 2002 taxation years. ... [3] In 2009 the Applicant pled guilty to wilfully evading payment of income taxes by failing to correctly report taxable income for the 2001 and 2002 taxation years. ...
FCTD
Underwood v. Canada (Attorney General), 2007 FC 71
Re: GST [16] On March 18, 2002, the Applicant was sent the GST Reassessments. ... Issue 2 – Did the Minister err when he relied on June 2002 as the Applicant’s moving date? ... Issue 3 – Did the Minister misinterpret the GST Diary entry about the August 6, 2002 telephone call? ...
FCTD
Kotel v. Canada (Attorney General), 2013 DTC 5166 [at at 6421], 2013 FC 1015
Facts [2] Between 1999 and 2002, the Applicant earned income in the United States for 45 to 50 weeks per year. ... [4] In that assessment, the Applicant was also reassessed for interest and tax arrears for the following years and in the following amounts: • 1999- $3,060.47; • 2000- $28,254.13; • 2001- $6,544.62; and • 2002- $350.42 [5] On June 2, 2003, the Applicant filed Notices of Objection to the reassessments for each of the years between 1999 and 2002. ... [42] He further submits that he made a payment on November 5, 2002 in the amount of $6201.31 which has not been offset against his amount owing. ...
FCTD
Albert v. Canada (Citizenship and Immigration), 2007 FC 915
Nazrambe, the alleged killers of his mother’s family, in turn learned of the applicant’s existence, his presence in the neighborhood, and his desire to report them to the police. [4] [7] In 2002, Mr. ... Having told friends that he would report these individuals to the police, one of them allegedly threatened to kill him, in January 2002, and sent youths to beat him up on several occasions. ... [37] The application is allowed. . JUDGMENT THE COURT ORDERS AND ADJUDGES that: 1. ...
FCTD
Dufour v. Canada (Attorney General), 2011 FC 138
« Cour » [Abrogée, 2002, ch. 8, art. 15] « Cour d’appel » ou « Cour d’appel fédérale » [Abrogée, 2002, ch. 8, art. 15] « Couronne » “ Crown ” « Couronne » Sa Majesté du chef du Canada ... « juge » [Abrogée, 2002, ch. 8, art. 15] « juge en chef » [Abrogée, 2002, ch. 8, art. 15] « juge en chef adjoint » [Abrogée, 2002, ch. 8, art. 15] « jugement définitif » “ final judgment ” « jugement définitif » Jugement ou autre décision qui statue au fond, en tout ou en partie, sur un droit d’une ou plusieurs des parties à une instance ... [Abrogé, 2002, ch. 8, art. 33] 25. La Cour fédérale a compétence, en première instance, dans tous les cas — opposant notamment des administrés — de demande de réparation ou de recours exercé en vertu du droit canadien ne ressortissant pas à un tribunal constitué ou maintenu sous le régime d’une des Lois constitutionnelles de 1867 à 1982. 26. ...
FCTD
London Life Insurance Company (Re), 2013 FC 93
Factual background [4] Projexia was incorporated on September 25, 2002. ... B216414-1, issued on October 3, 2002, with a death benefit of $339,887.70 and a surrender value of $10,816.57; VIII. ... ” [59] Author David Norwood expresses a similar view (Norwood, David and Wier, John P, Norwood On Life Insurance Law, 3d ed, Toronto, Carswell, 2002): Garnishment is clearly not available to force surrender of an in-force policy since there is no enforceable debt currently due and owing from the insurer where the insured himself has not demanded surrender. ...
FCTD
Beaudry v. Canada (Attorney General), 2013 FC 547
Pagé stated that the applicant had been hired as a consultant from 2002 to 2005 and invoiced the services he rendered through his company, Solutions C.I.M.E.; he did not become an employee of Compu-Finder until June 2005, when he was offered the vice-president position. ... [15] Since Compu-Finder had considered the applicant to be self-employed worker from 2002 to June 2005 and therefore had not made deductions at source on the payments it was making for his services, Ms. ... Neuhaus v Canada, 2002 FCA 391 at paras 4-6, [2003] 2 CTC 177. See also, to the same effect: Boucher v Canada, 2004 FCA 47, [2004] 2 CTC 174; Welford v Canada, 2009 TCC 464, [2009] TCJ no 365 ...
FCTD
Crocione v. Canada (National Revenue), 2008 FC 793
Justice Zinn BETWEEN: ROBERT CROCIONE Applicant and THE MINISTER OF NATIONAL REVENUE Respondent REASONS FOR JUDGMENT AND JUDGMENT [1] On February 8, 2002, Mr. ... Crocione’s returns for 2002 through 2004. [5] Section 220 (3.1) of the Income Tax Act, R.S.C. 1985, c. 1 (5 th Supp.) and section 281.1 of the Excise Tax Act, R.S.C. 1985, c. ... [13] When submitting his returns for 2002 and 2003 he did so with a cover letter that stated in relevant part: “This disclosure is initiated with P.J. ...