Search - 2005年 抽纸品牌 质量排名

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FCTD

Iggillis Holdings Inc. v. Canada (National Revenue), 2016 FC 1352, rev'd 2018 FCA 51

There are also “compelling reasons” that I provide not to apply it (R v Henry, [2005] 3 SCR 609 at para 44 (SCC); Pfizer Canada Inc v Apotex Inc, 2014 FCA 250 at para 115). ... Since 2005, the Hillcore Group, directly or indirectly through its investments funds, has closed transactions with an aggregate asset value in excess of $6.5 billion with $670 million in 2014 alone. ... Lola Brown Trust No. 1B2, [(2005), 230 F.R.D. 398 (US Dt. Ct.)] where the Court said The joint defense or common interest doctrine has its origins in the criminal law, where multiple defendants, each having separate counsel, share information to effect a united defense. ...
FCTD

ConocoPhillips Canada Resources Corp. v. Canada (National Revenue), 2016 DTC 5016 [at 6588], 2016 FC 98, 2017 FCA 243 rev'd

This interpretation, the Minister argues, is therefore flawed and inconsistent with Canada Trustco Mortgage Co. v Canada, 2005 SCC 54, at para 10, [2005] 2 S.C.R. 601, which requires that statutory interpretation finds a meaning that is harmonious with the entire statute. [35]   The Minister further argues that the ITA provides a complete framework for disputing assessments through sections 165 to 169 and 171. ... Canada (Minister of National Revenue), 2005 FC 318, [2005] FCJ No 394, the Minister’s delegate had refused to exercise his discretion under subsection 220(2.1) to reinstate a taxpayer’s claim for a tax credit. ... DATED: january 27, 2016   APPEARANCES: Al Meghji Michael Darcy   For The Applicant   Josée Tremblay Shane Aikat   For The Respondent   SOLICITORS OF RECORD: Osler, Hoskin & Harcourt LLP Barristers and Solicitors Toronto, Ontario   For The Applicant   William F. ...
FCTD

Kenney v. Canada (Attorney General), 2023 FC 947

From July 8, 1976, to October 23, 2005, he served in the Regular Forces and, in particular, from April 28, 1993, to October 30, 1993, he served in a Special Duty Area in Bosnia. [12] Under section 21 and subsection 72(1) of the Pension Act, Mr. ... The Appeal Panel then drew the following conclusions: · Feeding: In order to meet Grade 2 “Significant”, Mr. ... Kenney submits, is not a factor to be considered under Table 4. · Bathing: While Mr. ...
FCTD

Michaels of Canada, ULC v. Canada (Attorney General), 2022 FC 1498

FEDERAL COURT SOLICITORS OF RECORD DOCKET: T-1164-21   STYLE OF CAUSE: MICHAELS OF CANADA, ULC v ATTORNEY GENERAL OF CANADA   PLACE OF HEARING: HELD VIA VIDEOCONFERENCE   DATE OF HEARING: April 20, 2022   Order AND reasons: FUHRER J.   DATED: November 2, 2022   APPEARANCES: Darrel H. Pearson Sabrina A. Bandali Mitchell Dorbyk Andrei Mesesan   For The Applicant   Roger Flaim Adam Grotsky   For The Respondent   SOLICITORS OF RECORD: Darrel H. ... Bandali Bennet Jones Toronto, Ontario   For The Applicant   Attorney General of Canada Toronto, Ontario   For The Respondent     ...
FCTD

Tourki v. Canada (Minister of Public Safety and Emergency Preparedness), 2006 FC 50

Canada (Minister of National Revenue-MNR) 2005 FC 1437, [2005] F.C.J. ... Canada (Minister of Citizenship and Immigration) 2005 SCC 40 "> 2005 SCC 40, [2005] S.C.J. ... The Minister of Public Safety and Emergency Preparedness Canada PLACE OF HEARING:                     MONTREAL, QUEBEC DATES OF HEARING:                     DECEMBER 12-13, 2005 REASONS FOR ORDER:                AND ORDER:                                    HARRINGTON J. ...
FCTD

Lawrence v. Canada (Citizenship and Immigration), 2019 FC 1248

To do so, I must look to the words of the statutes, and interpret them with regard to their object, text, the context of the provisions considered together, in addition to potential issues of absurdity, redundancy, or unfairness (Medovarski v Canada (Minister of Citizenship and Immigration); Esteban v Canada (Minister of Citizenship and Immigration), [2005] 2 S.C.R. 539 at para 8).   ... That said, there is no general requirement of legislative prospectivity, so long as the legislature has clearly indicated its desired retroactive or retrospective effects (British Columbia v Imperial Tobacco Canada Ltd., [2005] 2 S.C.R. 473 at para 71; R. v Dineley, [2012] 3 S.C.R. 272 at para 10).   ... Other decisions of this Court have refused to certify questions regarding transitional provisions that will apply to a relatively limited number of cases (Alleg v Canada (Minister of Citizenship and Immigration), 2005 FC 348 at para 17; Kang v Canada (Minister of Citizenship and Immigration), 2005 FC 297 at para 47). ...
FCTD

Canadian Pacific Railway Company v. Canada, 2021 FC 1014

(iii) 2005 Taxation Year [124] In filing its Part I.3 return for the 2005 taxation year, CPRC excluded $1,814,849 from its calculations of LCT owing, on the basis of Clause 16. [125] Subsequently, by notice of reassessment dated June 8, 2010, CPRC was reassessed an additional $1,822,157.00 in LCT plus arrears interest of $610,718.00. [126] CPRC paid these additional amounts. [127] On September 2, 2010, CPRC filed a notice of objection to the June 8, 2010 reassessment in which it sought recovery of these amounts. [128] CPRC’s objection for the 2005 taxation year remains outstanding. The CRA has not refunded any amount to CPRC for LCT in respect of the 2005 taxation year. (iv) CPRC’s Claim for Repayment of Fuel Tax [129] Between May 31, 2005, and March 14, 2007, CPRC filed Fuel Tax statutory refund claims to the CRA based on Clause 16. ...
FCTD

Toth v. Canada, 2019 FC 125

(See Ford v F Hoffmann-La Roche Ltd (2005), 74 OR 3d 758 (Ont Sup Ct J) (QL) at para 117.) [39]   Justice Gagné noted at para 20 that the factors are guidelines; some may not be relevant at all and some may carry more weight than others. ... (c)   Differences with Manuge [73]   Some Class Members, including Mr. ... Mitchell Taylor   For The DEFENDANT   SOLICITORS OF RECORD: Gowling WLG Ottawa, Ontario   For The PLAINTIFF   Michel Drapeau Law Office Ottawa, Ontario   For The PLAINTIFF   Deputy Attorney General of Canada Ottawa, Ontario   For The DEFENDANT     ...
FCTD

Robinson v. Canada (Attorney General), 2019 FC 876

II.   Background A.   Factual context [8]   Mr. Robinson is a 58-year-old fisherman. ... Robinson, there are exceptions to the Crown’s immunity from injunctive relief, and one of these relates to claims for relief under the Charter (Khadr v Canada, 2005 FC 1076 at para 20). [29]   At the hearing, counsel for the AGC did not press the argument and ultimately agreed that interlocutory injunctions could be sought against the Crown. ... Irreparable harm must flow from clear and non-speculative evidence (United States Steel Corporation v Canada (Attorney General), 2010 FCA 200 [US Steel] at para 7; AstraZeneca Canada Inc v Apotex Inc, 2011 FC 505 at para 56, aff’d 2011 FCA 211; Aventis Pharma SA v Novopharm Ltd, 2005 FC 815 at paras 59-61, aff’d 2005 FCA 390). ...
FCTD

Oddi v. Canada (Revenue Agency), 2022 FC 1313

Oddi and his spouse purchased the Property, located at 7838 Twenty Road in Smithville, Ontario, for $235,000. [14] From 2002 to 2005, Mr. ... In 2005, Mr. Oddi was charged with operating an illegal marijuana growing operation and was convicted in 2007. ... DATED: September 21, 2022   APPEARANCES: Dale Barrett (Not on record)   For The plaintiff   Maria Vujnovic Sarah Mackenzie   For The defendant   SOLICITORS OF RECORD: Barrett Tax Law Barristers and Solicitors Vaughan, Ontario   For The plaintiff   Attorney General of Canada Toronto, Ontario For The defendant     ...

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