Search - 2005年 抽纸品牌 质量排名
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FCTD
Pham v. Canada (Minister of National Revenue), 2006 FC 759
That letter was in essence simply an acknowledgement of receipt of the letter of July 11, 2005 and asked for some proof that the solicitor was authorized to act on behalf of the Applicant. [7] The Agency provided a substantive response to the Applicant's solicitor's letter of July 11, 2005 by letter dated July 22, 2005. ... That letter said: Further to your letter dated the 22 nd day of July, 2005, please find enclosed the following documentation: 1. ... That letter dated September 30, 2005, stated: This correspondence is to acknowledge receipt of your letter (with enclosures), dated August 31, 2005, on the above-noted enforcement action. ...
FCTD
Charalampis v. Canada (Citizenship and Immigration), 2009 FC 1002
Canada (Minister of Citizenship and Immigration), 2005 FCA 436 with leave to appeal denied by the Supreme Court of Canada, for example, the parent’s violation of the law did not in itself result in a constitutional infirmity. ... Canada (Minister of Citizenship and Immigration), 2005 FC 1632 at paragraph 4) ... JUDGMENT [44] IT IS ORDERED that the application for judicial review is dismissed. ...
FCTD
Edell v. Canada Revenue Agency, 2008 FC 1306
Canada, 2005 FCA 348. [42] In Grenier, Justice Létourneau, at paragraph 20, held that a litigant who disputes a federal agency’s decision was not free to choose between an action and judicial review. ... HER MAJESTY THE QUEEN ET AL. PLACE OF HEARING: TORONTO DATE OF HEARING: NOVEMBER 18, 2008 REASONS FOR JUDGMENT: MANDMIN, J. ...
FCTD
Canada v. Malachowski, 2011 FC 413
Donihee lived at Nun’s Point from 1994 to 2005. [11] In January 2005, Ms. ... In October 2005, Mr. Malachowski arrived, unannounced, expressing interest in Nun’s Point. ... He could move in as of November 1, 2005. [13] Between November 2005 and April 2006, Beau Malachowski, Mr. ...
FCTD
334156 Alberta Ltd. v. Canada (Minister of National Revenue), 2006 FC 1133
Applicant and MINISTER OF NATIONAL REVENUE Respondent REASONS FOR JUDGMENT AND JUDGMENT [1] Subsection 220(3.1) of the Income Tax Act, R.S.C. 1985, c. 1 (5 th Supp.) ... Canada (Customs and Revenue Agency), 2005 FCA 153. [7] Review on this standard requires the Court to ask after a "somewhat probing examination" whether the reasons given for the decision, when taken as a whole, support the decision. ... DATED: SEPTEMBER 26, 2006 APPEARANCES: MR. ...
FCTD
Ross v. Canada (Canada Customs and Revenue Agency), 2006 FC 1391
The decision is set out in a letter of August 9, 2005 and it is to the effect that the amount of $628.44 paid by the Plaintiff, Bruce Ross, for the return of goods and a conveyance is to be held by the Minister as forfeit. ... It is the recovery of that payment of $628.44, whose forfeit was confirmed by the Minister’s letter of August 9, 2005, which is the subject of this action on appeal from that decision ... “ B. L. Strayer ” Deputy Judge FEDERAL COURT SOLICITORS OF RECORD DOCKET: T-1970-05 STYLE OF CAUSE: BRUCE AND LINDA ROSS v. ...
FCTD
Placide v. Canada (Citizenship and Immigration), 2009 FC 490
[3] In Canada, he was found guilty of 44 criminal offences that were committed between 1986 and 2005. ... Canada (Attorney General), 2005 FCA 360, 341 N.R. 345). [14] The conditions for accepting new evidence result from the application of section 113 of the IRPA (above). ... “Orville Frenette” Deputy Judge FEDERAL COURT SOLICITORS OF RECORD DOCKET: IMM-3257-08 STYLE OF CAUSE: Charles Gérard PLACIDE v. ...
FCTD
Kelley Estate v. Canada (Attorney General), 2011 FC 1335
It was not filed until September 1, 2005. The Haydens assert that they paid the balance of tax outstanding based on the information available to them at that time ... An additional T4RSP slip for $5,502.00 was issued on May 3, 2006, for the 2005 taxation year in Mr. ... [18] The Director further observed that the 2003 return was filed on September 1, 2005, though it was due April 30, 2004. ...
FCTD
Toastmaster Inc. v. Canada (National Revenue), 2012 DTC 5008 [at at 6555], 2011 FC 1309, aff'd 2013 DTC 5017 [at 5601], 2012 FCA 317
The Canada Revenue Agency [CRA] imposed interest amounts because Toastmaster had been late in filing its returns for the years 2001, 2002, and 2005. ... However, subsequent Notices of Reassessment were issued on August 7, 2009 which assessed arrears interest pursuant to s 161(1) of the ITA for the 2001, 2002 and 2005 taxation years. Interest was assessed to be $346,718.17, $125,110.24, and $142,974.35 for the 2001, 2002 and 2005 taxation years, respectively. ...
FCTD
NG v. Canada (Attorney General), 2008 FC 1298
On December 6, 2005, the applicant was informed that she had not achieved the combined necessary passing mark of 60% on the legislation, policy and procedures and international audit exams. ... [6] On December 30, 2005, the applicant initiated recourse under the CRA’s staffing program by requesting individual recourse. ... Canada (A.G.), [2005] F.C.J. No. 1270 at paragraph 40). As such, I believe it not appropriate to strike the paragraphs from the applicant’s affidavit. ...