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Results 2101 - 2110 of 6318 for connection
TCC
Gagné v. The Queen, 2007 TCC 175 (Informal Procedure)
[6] The issue for determination is whether the Appellant is entitled to a rebate of the GST that she paid in connection with her self-built home project ...
TCC
Marks v. The Queen, 2007 TCC 113 (Informal Procedure)
She was also assessed under the Excise Tax Act net tax of $6,418.18 plus interest and penalties with respect to the period November 1, 2001 to December 31, 2003 in connection with the business income. ...
TCC
Carlin v. The Queen, 2007 TCC 143 (Informal Procedure)
In this connection I cite the following court decisions: In Ramey v. ...
TCC
Chu v. The Queen, 2007 TCC 262 (Informal Procedure)
In this connection, the evidence, especially the testimony of Diane Tawnley, an appeals officer and Exhibit R-3, make it clear that the Appellant and his wife had separate residences throughout 2004 and although the wife spent some time in the Appellant’s residence, even sleeping there from time to time, this, in my opinion, is very natural when two persons are the parents of two children with joint custody. ...
TCC
Côté c. La Reine, 2007 TCC 182 (Informal Procedure)
In fact, the first time that this problem arose was in connection with the remittance period of January 1, 2003, to March 31, 2003. ...
TCC
Henry v. The Queen, 2007 TCC 451 (Informal Procedure)
In those years the appellant claimed home office expenses and automobile expenses in connection with her work. ...
TCC
Meszaros v. M.N.R., 2008 TCC 525
As the sole and exclusive proprietorship being carried on from the premises of the salon on Mondays, Wednesdays and Fridays, with all the responsibilities that are entailed in connection with those premises, I conclude Ms. ...
TCC
Fraser v. The Queen, 2008 TCC 227 (Informal Procedure)
There was only one internet connection in the home and both he and his wife used the computers. ...
TCC
Leduc c. La Reine, 2008 TCC 42 (Informal Procedure)
Conclusion [33] The appeal is allowed without costs, and the assessment is referred back to the Minister of National Revenue for reconsideration and reassessment on the basis that the Appellant is entitled to deduct the amount of $12,253 in connection with the seminar. ...
TCC
Lessard v. M.N.R., 2008 TCC 122
Family members are more flexible, more generous and more prepared to lend a hand than employees of a business who have no family connection with the owner or are dealing with the owner at arm's length ...