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TCC

Ritchie v. The Queen, 2003 TCC 425 (Informal Procedure)

REASONS FOR JUDGMENT Hershfield, J.T.C.C. [1]      The appeal was dismissed from the Bench on June 13, 2003 with oral reasons. ... There is a Consent Order in 2002 confirming the Appellant's obligation, prospectively at least, to pay for specific extraordinary expenses for the maintenance of the children in lieu of the monthly payments. ... The transitional provisions for the amendments to the Act preserve the status quo for old agreements. [6] [15]     Accordingly the appeal is allowed with costs. ...
TCC

Mathieu v. The Queen, 2014 TCC 207

The Queen, 2014 TCC 207         Docket: 2010-1972(IT)G BETWEEN: MICHEL MATHIEU, Appellant, and   HER MAJESTY THE QUEEN, Respondent.   ... March 4, 2010, at p. 391. [23] 2002 FCA 260. [24] [1998] 1 S.C.R. 27. [25] [1995] 1 S.C.R. 686; [1995] S.C.J. No. 16. [26] [2002] T.C.J. No. 99, [2002] C.T.C. 2548. ...
TCC

Knittle v. The Queen, 2006 TCC 393 (Informal Procedure)

When Kim was asked in examination how she kept her business and personal expenses separate, her answer was "I just know". [5]      These appeals arose from an audit conducted by the Minister in 2002. ... CITATION:                                        2006TCC393 COURT FILE NO.:                             2004-2254(IT)I, 2004-2255(IT)I,                                                           2004-2545(IT)I, 2004-2740(IT)I STYLE OF CAUSE:                           ANTHONY KNITTLE, KIM H. ... Knittle Counsel for the Respondent: Pavanjit Mahil COUNSEL OF RECORD:        Counsel for the Appellant:                    Name:                              N/A                    Firm:                                N/A        For the Respondent:                     John H. ...
TCC

Okell v. The Queen, 2003 TCC 205 (Informal Procedure)

Okell, (a)       The driver has his own money and has no need of contingency funding; the driver owns and operates his car; (b)      The driver who uses a car provided by factory supported dealers, such as Daimler Chrysler dealers; (c)      The driver who is fortunate enough to have a person who has money and a "love" of auto racing who invest in the driver; and (d)      The driver who is fully funded by sponsors. [12]     So far Mr. ... He testified that he entered three races in 2001 and two races in 2002. ... Okell said he has obtained some sponsorships. [17]     During the years in appeal Mr. ...
TCC

Mohos v. The Queen, 2008 TCC 199

The Queen, 2008 TCC 199         Citation: 2008TCC199 Date: 20080410 Docket: 2005-2544(IT)G BETWEEN: GREGORY SCOTT MOHOS, Appellant, and   HER MAJESTY THE QUEEN, Respondent.     ... Signed at Ottawa, Canada, this 10 th day of April 2008.           "Gaston Jorré" Jorré, J. ...    [5]     On this point, the Appellant relied on Lau v. Canada, [2002] T.C.J. ...
TCC

Hollingsworth v. The Queen, 2003 TCC 134 (Informal Procedure)

(KWTO). [3]      Since its inception, Ms. Hollingsworth has devoted most of her time to developing her business. ... Sim Counsel for the Respondent: Nimanthika Kaneira COUNSEL OF RECORD: For the Appellant: Name: N/A Firm: N/A For the Respondent: Morris Rosenberg Deputy Attorney General of Canada Ottawa, Canada [1]               94 DTC 6193 (F.C.A.) per Heald J.A. at p. 6196. [2]           Stewart v. Canada, 2002 SCC 46, paragraphs 50-54. ...
TCC

Duguay v. The Queen, 2016 TCC 168 (Informal Procedure)

[My emphasis.] [14]         However, as Justice Archambault of this Court stated in Gonthier v. ... These provisions were adopted in June 2013, retroactive to December 21, 2002 (see Technical Tax Amendments Act, 2012, S.C. 2013, c. 34, at subsections 358(30) and (54). [17]         The provisions in question define the eligible amount of a gift and the amount of the advantage in respect of a gift. ... Pentney Deputy Attorney General of Canada Ottawa, Canada     ...
TCC

Forgione v. The Queen, 2005 TCC 381

Rip Appearances: Agent for the Appellant: Mauro Marchioni Counsel for the Respondent: Shatru Ghan____________________________________________________________________ JUDGMENT           The appeal from assessment number 21623 dated April 10, 2002 made under the Income Tax Act is allowed and the assessment is vacated.        ... REASONS FOR JUDGMENT Rip J. [1]    This is an appeal by Giuseppe Forgione from an assessment of tax issued by the Minister of National Revenue in accordance with subsection 227.1(1) of the Income Tax Act (" Act "): Mr. ... Rip DATE OF JUDGMENT:                     June 20, 2005 APPEARANCES: Agent for the Appellant: Mauro Marchioni Counsel for the Respondent: Shatru Ghan COUNSEL OF RECORD:        For the Appellant:                    Name:                                                 Firm:        For the Respondent:                     John H. ...
TCC

Tremblay v. The Queen, 2004 TCC 424

Evidence [4]      The Appellant was the only witness called at the hearing. [5]      This is a 72-year-old man who has retired from a long career as a manager with IOC Ltd. ... The Appellant's daughter paid him a nominal amount of rent, which he reported in his income tax returns. [13]     In 1993, the Appellant decided to sell the property. ... Lévesque Firm: Bonaventure, Québec For the Respondent: Morris Rosenberg Deputy Attorney General of Canada Ottawa, Canada [1] [2002] 2 S.C.R. 645. ...
TCC

Blouse v. The Queen, 2004 TCC 483 (Informal Procedure)

In an earlier letter of February 28, 2002 to Ms. Linda Compton, an appeals officer with the Canada Customs and Revenue Agency ("CCRA") at the time, Mr. ... Blouse an independent contractor, the Agency was of the view that he did not qualify to deduct any expenses from his income pursuant to section 8 of the Income Tax Act (" Act "). [8]      In any event ICI subsequently filed an amended T4 form for 1999 showing no remuneration paid to Mr. ... Blouse was paid $39,000 by ICI. [24]     For these reasons, the appeal is dismissed.           ...

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