Search - 2005年 抽纸品牌 质量排名
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FCTD
Canada (National Revenue) v. Kerby, 2008 FC 452
On the 24 th of March, 2005, an officer on behalf of the Canada Revenue Agency informed Mr. ... Following the March 3, 2005 Responses and January 31, 2006 Submissions, although certain items in the Compliance Orders have remained outstanding since October 31, 2005, the Respondents only provided submissions to the Applicant immediately prior to the contempt hearings in April 2007 and September 2007. 46. ... Kerby did not provide any new material to the Applicant between the March 3, 2005 and the September 14, 2007 Submissions. ...
FCTD
Pretashi v. Canada (Public Safety and Emergency Preparedness), 2019 FC 1105
It appears that they lived together in a common law relationship from September, 2003 to December, 2005. ... January 2005). [14] The CIC also investigated whether his first wife had been complicit in the apparently fraudulent marriage. ... The Applicant admitted he knew about the birth of his son (in September, 2005) prior to his landing (in December, 2005), and that he had been living with Xhuljana. ...
FCTD
Tehrani (Re), 2011 FC 1232
Year 2004 – $326,998 2. Year 2005 – ($65,100) 3. ... Three months after receiving the notices of assessment, the applicant hypothecated his two immovables in his mother’s favour, all to guarantee a debt that was allegedly contracted in 2005, more than six years before, thereby wiping out any equity remaining on these assets ... It appears, from the affidavit of auditor Talbot, that 6092055 Canada Inc. claimed in its annual returns from 2005 and 2006 that it had no paid employees. ...
FCTD
Acadia First Nation v. Canada (National Revenue), 2007 FC 259
[14] On December 12, 2005, the Applicant filed this application for judicial review of the decision on behalf of the Minister to enforce collection to taxes claimed as HST without meaningful consultation and accommodation on the claims of the Band ... [15] Since January 2005, due to pressure from the Minister, and under protest, the Acadia Band Council directed its businesses to collect HST, and not to collect the Band Commodity Tax any longer, since the collection of both taxes would render the businesses uncompetitive. 3. ... Canada (Minister of Canadian Heritage), [2005] 3 S.C.R. 388, were cases that concerned discretionary actions of the Crown. ...
FCTD
Laquerre (Re), 2008 FC 459
Laquerre (Re), 2008 FC 459 Date: 20080409 Docket: T-699-07 Citation: 2008 FC 459 Ottawa, Ontario, the 9th day of April 2008 PRESENT: The Honourable Mr. ... [13] Ms. Morin’s affidavit of April 25, 2007, filed in support if the second ex parte motion seeking a jeopardy collection order, describes the audit of 9067 for the 2005 taxation year, undertaking starting in September 2006. ... [14] According to Mr. Ferland’s affidavit of April 25, 2007, a) Laquerre owes the Agency a total of $1,145,686.04 based on four notices of reassessment dated August 31, 2006, for the taxation years 1999 to 2002, inclusive, a notice of assessment dated November 6, 2006, for the 2005 taxation year and a notice of reassessment dated April 25, 2007, for the 2005 taxation year; b) Fiducie Laquerre owes the Agency $167,784.65 based on an initial assessment dated August 31, 2006, for the 2001 taxation year, a notice of reassessment dated August 31, 2006, for the 2002 taxation year, and a notice of reassessment dated April 25, 2007, for the 2004 taxation year; c) ML owes the Agency $764,945.99 based on five notices of reassessment dated August 31, 2006, for the taxation years 1998 to 2002, inclusive, and a notice of reassessment dated April 25, 2007, for the 2004 taxation year; d) MJ owes the Agency $30,000 based on a notice of assessment dated April 25, 2007, for an indirect transfer of property carried out on July 29, 2002; e) 9122 owes the Agency $29,070.74 based on two notices of reassessment dated A pril 25, 2007, for the 2004 and 2005 taxation years; f) 9067 owes the Agency $101,386.21 based on a notice of assessment dated April 25, 2007, for the 2005 taxation year ...
FCTD
Canada (National Revenue) v. Ouellette, 2008 FC 594
Ouellette, 2008 FC 594 Date: 20080512 Dockets: T-1075-07 T-1076-07 Citation: 2008 FC 594 Docket: T-1075-07 [ENGLISH TRANSLATION] BETWEEN: MINISTER OF NATIONAL REVENUE Applicant and NATIONAL BANK OF CANADA Respondent and LUC OUELLETTE Intervener Docket: T-1076-07 AND BETWEEN: MINISTER OF NATIONAL REVENUE Applicant and CAISSE POPULAIRE DE THETFORD MINES Respondent and LUC OUELLETTE Intervener REASONS FOR ORDER HARRINGTON J ... Singh Lyn Ragonetti Bindal LLP, 2005 FC 1538, [2005] F.C.J. no. 1907 and Canada (Minister of National Revenue – MNR) v. ... Caisse Populaire de Thetford Mines T-1076-07 Photocopies of the electronic hard copies of [translation] “statements for the trust account of Ouellet Larouche Gagné” at the Caisse Populaire for 2003, 2004, and 2005. ...
FCTD
Canadian Pacific Railway Company v. Canada, 2013 DTC 5135 [at at 6226], 2012 FC 1030
The specific years in question with reference to the LCT are the years 2000 and 2005. ... However, there has been an overpayment in respect of its 2000 and 2005 taxation years. CPR seeks recovery of LCT in respect of both the 2000 and 2005 taxation years. ...
FCTD
Canada v. Tran, 2008 FC 297
Background [4] On April 21, 2005, the Canada Revenue Agency (CRA) placed liens on real properties belonging to the respondent in order to secure a goods and services tax arrears ... [5] On June 8, 2005, the respondent was charged with a number of offences under the Income Tax Act including six counts relating to allegedly false or deceptive statements, one count of tax evasion, one count of making false or deceptive statement in GST returns under the Excise Act, 2001, 2002, c. 22 and five firearms charges under the Criminal Code of Canada, R.S.C. 1985, c. ... Beacon, [2005] O.J. No. 4664 (Ont. S.C.)). Moreover, there is a general policy in law of not relying upon matters of form that bear upon criminal cases, where the governing consideration should be the interests of justice (R. v. ...
FCTD
Kennedy v. Canada, 2012 FC 1050
[6] According to Ms. Bath’s review of the CRA’s record, after having informed the applicant of the registration of a certificate with this Court by letter dated June 4, 2004, the CRA proceeded with several requirements to pay addressed to different financial institutions, such as the AIM Funds Management and Scotia Capital Inc. on August 11, 2004; the Canadian Bank of Commerce on June 13, 2005; TD Canada Trust on January 20, 2011 ... [34] In Gibson v Canada, 2005 FCA 180, 334 NR 288 [Gibson (FCA)] leave to appeal refused: [2005] SCCA 326, which set aside the Court’s decision in Gibson (FC), above, the Federal Court of Appeal considered subsection 222(4) of the ITA. ... [46] In R v Watson, 2005 BCPC 59, at para 11, the British Columbia Provincial Court (Criminal Division) [BCPC] held that “[t]he arrangement between Canada and British Columbia is not the delegation of provincial jurisdiction.” ...
FCTD
Young v. Canada (Attorney General), 2006 FC 1164
Deputy Attorney General of Canada Ottawa, ON FOR THE RESPONDENT [1] R.S.C. 1985, C. 1 (5 th Supp.). [2] [2005] F.C.J. No. 1460 (T.D.), 2005 F.C. 1201, September 2, 2005. [3] See: Maloshicky v. Canada (Customs and Revenue Agency), [2005] F.C.J. No. 1203, 2005 F.C. 978, July 12, 2005, at para. 10. [4] [2004] 4 C.T.C. 56. ...