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TCC

White v. The Queen, 2010 TCC 394 (Informal Procedure)

Little” Little J.       Citation: 2010 TCC 394 Date: July 27, 2010 Docket: 2009-2458(IT)I BETWEEN: STEPHEN PAUL WHITE, Appellant, and   HER MAJESTY THE QUEEN, Respondent.       ... After the 2003 court decision, she was the mother of a child born on January 2, 2005. ...   [29]          The Appeal is allowed, without costs.       Signed at Vancouver, British Columbia, this 27th day of July 2010.       ...
TCC

Deep v. The Queen, 2006 TCC 315

(v)      Did Dr. Deep underreport his income in 1997, and, if so, by how much?           ... Annette Evans COUNSEL OF RECORD:        For the Appellant:                    Name:                              N/A                    Firm:                                N/A        For the Respondent:                     John H. ... In 1995 he moved to a calendar year end, resulting in one year end January 22, 1995 (1995A) and the second year end December 31, 1995 (1995B). [4]           Exhibit A-19. [5]           84 DTC 6247. [6]           Supra, at page 6251. [7]           [2005] 2 S.C.R. 598. [8]           See for example Venne. [9]           2004 DTC 6763. ...
TCC

McCarthy v. The Queen, 2016 TCC 49

Canada, 2005 FCA 131. [15]         I am asking the parties for their written submissions on costs within 30 days. [16]         Further, this Court has the power to order that costs be payable personally by counsel in appropriate circumstances under Rule 152 of the Tax Court of Canada Rules (General Procedure) “where a counsel for a party has caused costs to be incurred improperly or without reasonable cause or to be wasted by undue delay, misconduct or other default”. ... THE QUEEN REASONS FOR ORDER BY: The Honourable Justice Patrick Boyle DATE OF ORDER: February 25, 2016   REPRESENTATIVES:     Counsel for the Appellant: Joel Allan Sumner   Counsel for the Respondent: H. ... Pentney Deputy Attorney General of Canada Ottawa, Canada   ...
TCC

Kang v. The Queen, 2015 TCC 18

Even accumulating $300,000 was impossible in view of the revenue reported for the 2005, 2006 and 2007 taxation years. ... Tang and Kang, specifically for 2007:   Salaries reported by the Jewellery Store Salary received by Tang Salary received by Kang 2005 $61,954- $62,400 2006 $67,413- $62,400 2007 $66,429 $0 $15,600 [71]         Moreover, Messrs. ... Moreover, the company’s cash assets fell in 2005 and 2006 from $239,880 to $54,670. [97]         A similar decrease was also posted under “Due to shareholder” (from $209,371 to $57,073). ...
TCC

Karlozian v. The King, 2024 TCC 121

He obtained his citizenship and lived there with his family until 2005, at which time he returned to Canada. [16] Mr. ... The house was sold in 2005, resulting in gross capital gains in an amount of US$263,866 (Exhibit A‑1, Inter Valley Escrow Statements dated June 30, 2005). ... First, in 2005, Mr. Karlozian sold his house in the US, upon which he realized a gain of about US$262,000. ...
TCC

Bérubé c. La Reine, 2004 TCC 432

These attachments form a part of these reasons. [3]      The Appellant disagrees with eight items calculated by Ms. ... Conclusion [11]     I accept the fact that the Appellant received loan repayments from his brother during the years at issue and that they were not taxable income. ... Translation certified true on this 25 th day of January 2005. Colette Dupuis-Beaulne, Translator ...
TCC

Desbiens c. M.R.N., 2004 TCC 557

Translation certified true on this 8 th day of March 2005. Colette Dupuis-Beaulne, Translator Dockets: 2003-4669(EI) 2003-4670(EI) BETWEEN: JACKY DESBIENS, Appellant, and THE MINISTER OF NATIONAL REVENUE, Respondent. ... Translation certified true on this 8 th day of March 2005. Colette Dupuis-Beaulne, Translator Citation: 2004TCC557 Date: 20040818 Dockets: 2003-4666(EI) 2003-4667(EI) BETWEEN: RICHARD DESBIENS, Appellant, and THE MINISTER OF NATIONAL REVENUE, Respondent. ... Translation certified true on this 8 th day of March 2005. Colette Dupuis-Beaulne, Translator. ...
TCC

Gray v. The Queen, 2016 TCC 54

(the “Act”) in relation to his 2008 taxation year and a related request for loss carryback to the 2005, 2006 and 2007 taxation years. ... These business losses, if allowed, would result in the refund to the Appellant of all the taxes paid or deducted at source for the 2005, 2006, 2007 and 2008 taxation years. ... The Queen, 2005 TCC 545; Panini v. Canada, 2006 FCA 224; Laplante v. The Queen, 2008 TCC 335; Gélinas v. ...
TCC

Moore v. M.N.R., 2007 TCC 643

Giles--------------   Allwest Reporting Ltd. #1200- 1125 Howe Street Vancouver, B.C. ... Moore, the period covered is December 1 st, 2004 to September 28 th, 2005.  ... Moore are allowed only to the extent that the period from September 1 st, 2005 to September 28, 2005 was worked as an employee rather than an independent contractor.  ...
TCC

CFI Funding Trust v. The Queen, 2022 TCC 60

The Queen, 2022 TCC 60 Docket: 2019-4229(GST)G BETWEEN: CFI FUNDING TRUST, Appellant, and HER MAJESTY THE QUEEN, Respondent.   ... Hogan” Hogan J.   Citation: 2022 TCC 60 Date: 20220609 Docket: 2019-4229(GST)G BETWEEN: CFI FUNDING TRUST, Appellant, and HER MAJESTY THE QUEEN, Respondent.   ... Bass Angelo Gentile Firm: Aird & Berlis LLP Brookfield Place 181 Bay Street, Suite 1800 Toronto, Ontario M5J 2T9 For the Respondent: François Daigle Deputy Attorney General of Canada Ottawa, Canada   [1] RSC 1985, c E-15. [2] SOR/91-45. [3] Westborough Place Inc v R, 2007 TCC 155. [4] International Hi‑Tech Industries Inc v R, 2018 TCC 240. [5] Vocan Health Assessors Inc v R, 2021 TCC 49. [6] 1378055 Ontario Limited v R, 2019 TCC 149. [7] Westborough Place Inc, supra note 3. [8] International Hi‑Tech Industries Inc, supra note 4 at para 65; Vocan Health Assessors Inc, supra note 5 at para 177; and 1378055 Ontario Limited, supra note 6 at para 53. [9] David Sherman, “169(4) Input Tax Credits Required Documentation” (last modified 30 April 2022), online: Taxnet Pro. [10] Canada Revenue Agency, “May 2004 CRA Roundtable” (January/February 2005 member advisory), online (pdf): Chartered Professional Accountants of Alberta. [11] David Sherman, supra note 9. [12] Ruth Sullivan, Statutory Interpretation, 3rd ed (Toronto: Irwin Law, 2016) at 79. [13] Ibid at 80. [14] Canada Trustco Mortgage Co v R, 2005 SCC 54 at para 10. [15] All of the MCLAs are substantially similar. ...

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