Search - connection
Results 5081 - 5090 of 6326 for connection
FCA
The Queen v. Demco Management Ltd., 85 DTC 5603, [1986] 1 CTC 92 (FCA)
It is the benefit and advantage of the good name, reputation, and connection of a business. ...
FCA
Greiner v. The Queen, 84 DTC 6073, [1984] CTC 92 (FCA)
The contract also provided that Greiner would be reimbursed all travelling and other expenses actually and properly incurred by him in connection with his duties. ...
FCTD
Hummel Corp. of Quebec Ltd. v. The Queen, 79 DTC 5426, [1979] CTC 483 (FCTD)
In rendering the Birmount judgment Sweet, DJ also made the point that however far flung or diversified Mr Mentzelopoulos’ assets may have been it is not he who had been assessed but rather the plaintiff corporation and that the activities of the corporation in connection with realty constituted carrying on business. ...
FCA
Spur Oil Ltd. v. The Queen, 81 DTC 5168, [1981] CTC 336 (FCA)
No new or increased taxes at any time imposed or levied upon such crude oil, before the crude oil in question passes the tankship’s permanent hose connection at the loading port in the country of origin, shall be for the account of Buyer, unless and until Seller notifies Buyer of such new or increased taxes. ...
TCC
Boston v. R., 98 DTC 1124, [1998] 1 CTC 2217 (TCC)
Although the Appellant had strong connections with Canada because his wife continued to live in the family home in Edmonton, and he had three adult sons living in Canada, the fact is that he did not come back to Canada at all in 1989 or 1991 and returned to Canada for only 14 days in each of 1990 and 1992. ...
FCA
Tossell v. Canada, 2005 DTC 5365, 2005 FCA 223
Peterson sworn September 3, 2003, and apparently filed in the Ontario Court of Justice in connection with another dispute between Mr. ...
FCA
Sherway Centre Ltd. v. Canada, 2003 DTC 5082, 2003 FCA 26
There was thus a numerical causal connection between the change in the balance in 1983 and 1984, and the balance in 1985. [27] In my view, counsel for Sherway is asking the Court to go considerably further than this when he says that the change in Sherway's income in 1987 and 1988, as a result of the deduction of the participating interest, reasonably related to the deductibility of interest paid in subsequent years, albeit on the same bonds. ...
FCTD
Day & Ross v. The Queen, 76 DTC 6433, [1976] CTC 707 (FCTD)
namely, the interest we have in the welfare and prosperity of our connexions. ...
TCC
Démolition A.M. de l'est du Québec Inc. v. MNR, 93 DTC 889, [1993] 2 CTC 2447 (TCC)
Justice Reed elaborated on the connection that exists between the two tests analyzed by Judge Brulé in that case. ...
EC decision
Western Electric Co. Inc. v. MNR, 69 DTC 5204, [1969] CTC 274 (Ex Ct), briefly aff'd 71 DTC 5068 (SCC)
The payments provided for in this Section 6 shall constitute compensation for the use of technical information, in connection with products for which payments are not otherwise provided. ...