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FCTD
McLeod (Estate) v. Canada (National Revenue), 2007 FC 1111
[6] Then, in April of 2005, just when his doctors say that he was starting to get back on his feet, Mr. ... [18] Finally, the Report notes that doctors’ reports from the summer of 2005 indicated that Mr. ... Canada (Canada Customs and Revenue Agency), [2005] F.C.J. No. 714, 2005 FCA 153 ...
FCTD
Wanna v. Canada (Minister of National Revenue), 2006 FC 496
Canada (Minister of National Revenue), 2006 FC 496 Date: 20060419 Docket: T-1337-05 Citation: 2006 FC 496 Between: CAMILLE WANNA Plaintiff and MINISTER OF NATIONAL REVENUE Defendant ASSESSMENT OF COSTS – REASONS MICHELLE LAMY, ASSESSMENT OFFICER [1] This is an assessment of the defendant’s costs following the judgment of October 3, 2005 dismissing the action at bar and the order of December 19, 2005 dismissing a motion by the plaintiff for an extension of time. ... Montréal, Quebec, April 19, 2006 “Michelle Lamy” MICHELLE LAMY ASSESSMENT OFFICER Certified true translation François Brunet, LLB, BCL FEDERAL COURT SOLICITORS OF RECORD DOCKET: T-1337-05 STYLE OF CAUSE: CAMILLE WANNA v. MINISTER OF NATIONAL REVENUE ASSESSMENT OF COSTS IN WRITING PLACE OF ASSESSMENT: Montréal, Quebec REASONS BY: Michelle Lamy, Assessment Officer DATED: April 19, 2006 SOLICITORS OF RECORD: Anthony Karkar for the plaintiff Montréal, Quebec John H. ...
FCTD
Canada (Minister of National Revenue) v. Cast Terminals Inc., 2004 FC 47
The amount of $ 6,325.00 is allowed for the fees as well as the disbursements totaling $ 5,367.97. [4] A certificate in the amount of $ 11,692.97 is issued in this case. DATED AT MONTREAL THIS 28 TH DAY OF FEBRUARY, 2005. Signed: « Michelle Lamy » MICHELLE LAMY OFFICIER TAXATEUR FEDERAL COURT NAMES OF COUNSEL AND SOLICITORS OF RECORD COURT FILE NO.: T-1951-00 STYLE OF CAUSE: IN THE MATTER OF AN APPEAL pursuant to Section 81.24 of the Excise Tax Act, to the decision rendered by the Canadian International Trade Tribunal, on June 22, 2000, Appeal nos. ... Defendants ASSESSMENT IN WRITING WITHOUT PERSONAL APPEARANCE OF PARTIES PLACE OF TAXATION: Montreal, Quebec ASSESSMENT OF COSTS- AMENDED REASONS BY: MICHELLE LAMY, ASSESSMENT OFFICER DATE OF REASONS: FEBRUARY 28, 2005 SOLICITORS OF RECORD: John Sims Deputy Attorney General of Canada Ottawa, Ontario for the Plaintiff Lapointe Rosenstein Montreal, Quebec for the Defendants ...
FCTD
Sivadharshan v. Canada (National Revenue), 2013 FC 47
[6] On July 14, 2010, some four years later, the applicant filed an adjustment form to amend his 2004 and 2005 tax returns. ... [10] The applicant did not provide any financial records for 2004 or 2005. ... [15] The applicant claims that his 2004 and 2005 income tax returns incorrectly stated his income. ...
FCTD
Maverick Oilfield Services Ltd. v. Canada (Attorney General), 2023 FC 1728
Zinn" Judge FEDERAL COURT SOLICITORS OF RECORD DOCKET: T-1836-21, T-472-23, T-540-23 STYLE OF CAUSE: MAVERICK OILFIELD SERVICES LTD. & LATIGO TRUCKING LTD v ATTORNEY GENERAL OF CANADA PLACE OF HEARING: SASKATOON, SASKATCHEWAN DATE OF HEARING: NOVEMBER 15, 2023 JUDGMENT AND REASONS: ZINN J. DATED: december 20, 2023 APPEARANCES: T. John Agioritis Nicholas Horlick For The ApplicantS Bryn Frape FOR THE RESPONDENT SOLICITORS OF RECORD: MLT Aikins LLP Barristers and Solicitors Saskatoon, Saskatchewan For The Applicants Attorney General of Canada Saskatoon, Saskatchewan FOR THE RESPONDENT ...
FCTD
Laquerre (Re), 2008 FC 460, 2008 FC 458
Justice Martineau IN THE MATTER OF the Income Tax Act AND IN THE MATTER OF assessments by the Minister of National Revenue under the Income Tax Act AGAINST: MARIO LAQUERRE FIDUCIE MARIO LAQUERRE FIDUCIE ML 9075-3153 QUÉBEC INC. 9015-7769 QUÉBEC INC. 9067-6388 QUÉBEC INC. 1392, 4 e avenue Québec (Quebec) G1J 3B6 -and- 9029-0065 QUÉBEC INC. 825, chemin Hibou Stoneham (Québec) G0A 4P0 Respondents REASONS FOR ORDER AND ORDER [1] The general rule, pursuant to subsection 225.1(1) of the Income Tax Act, R.S.C. 1985, c. 1 (5th Supp.) ... [13] According to Mr. Ferland’s affidavit of August 31, 2006, · Laquerre owes the Agency $313,300.05 based on four notices of reassessment dated August 31, 2006, for the taxation years 1999 to 2002, inclusive; · Fiducie Laquerre owes the Agency $132,728.09 based on an initial assessment dated August 31, 2006, for the 2001 taxation year and a notice of reassessment dated August 31, 2006, for the 2002 taxation year; · ML owes the Agency $689,308.16 based on five notices of reassessment dated August 31, 2006, for the taxation years 1998 to 2002, inclusive; · 9075 owes the Agency $233,785.89 based on three notices of reassessment dated August 31, 2006, for the taxation years 1999 to 2001, inclusive, and an assessment dated February 13, 2003, for the 1999 taxation year; · 9015 owes the Agency $128,265.32 based on three notices of reassessment dated August 31, 2006, for the taxation years 2000 to 2002, inclusive; · 9029 owes the Agency $183,641.27 based on a reassessment dated August 31, 2006, for the 2000 taxation year and an assessment dated April 25, 2002, for the 2000 taxation year; and, · 9067 owes the Agency $35,653.67 based on a notice of assessment dated June 7, 2006, for the 2005 taxation year ... ORDER THE COURT ORDERS that the respondents’ motion to strike the jeopardy collection order issued September 6, 2006, is dismissed with costs. ...
FCTD
Hauser v. Canada (Revenue), 2007 FC 113
[9] On December 27, 2005, the Applicant sent the Minister a letter requesting further consideration, which the Minister treated as a request for second-level review. ... Canada (Customs & Revenue Agency), 2005 FCA 153, at paragraphs 6-7. ... Canada (CCRA), 2005 FC 560; and Bilida v. Revenue Canada, 51 D.T.C. 5041, 124 F.T.R. 172. ...
FCTD
Raglan Holdings Inc. v. Canada (National Revenue), 2008 FC 605
(the “ITA”), concerning the tax liability of Candice Stanfield (the “taxpayer”). * * * * * * * * [2] Hugh Stanfield (the “applicant”) was married to the taxpayer until her death in 2005, upon which he became the executor of her estate. ... [4] The taxpayer died on April 30, 2005. [5] On October 11, 2006, K. ... The Canada Customs and Revenue Agency, 2005 FCA 218, [2005] F.C.J. No. 1022 (C.A.) ...
FCTD
Bozzer v. Canada, 2007 FC 867
[2] In a December 6, 2005 letter, the Applicant requested that the Minister waive the interest payable on the tax owed from the 1989 and 1990 taxation years by virtue of subsection 220(3.1) of the Income Tax Act, R.S.C. 1985, chap. 1 (5th Supp.) ... [3] In a letter dated December 19, 2005, the Applicant was advised by the Respondent that his request with regard to departmental delay or error would be forwarded to the Appeals Division of the Tax Services Office. ... This time limitation exists in the public interest, bringing finality to administrative decisions in order to ensure their effective implementation without delay (Berhad v. / Canada (2005), 338 N.R. 75, 2005 FCA 267). ...
FCTD
Edungu v. Canada (National Revenue), 2008 FC 1096
Canada (National Revenue), 2008 FC 1096 Date: 20081001 Docket: T-416-02 Citation: 2008 FC 1096 BETWEEN: MICHEL LOLAENGA EDUNGU Plaintiff and MINISTER OF NATIONAL REVENUE Defendant ASSESSMENT OF COSTS – REASONS Johanne Parent, Assessment Officer [1] On May 7, 2002, the defendant obtained a Court order dismissing the plaintiff’s action with costs. ... However, in the absence of submissions from the opposing party, I will assess the defendant’s bill of costs of August 20, 2003, as it appears in the affidavit of Sabrina Esty sworn May 9, 2005, and filed in the Court file on November 15, 2007 ... Deputy Attorney General of Canada Toronto, Ontario FOR THE DEFENDANT ...