Search - connection

Filter by Type:

Results 5821 - 5830 of 6337 for connection
FCTD

Canada (National Revenue) v. Chad, 2024 FC 460

Relevant Provisions [18] Section 231.7 of the Act states: 231.7 (1) On summary application by the Minister, a judge may, notwithstanding subsection 238(2), order a person to provide any access, assistance, information or document sought by the Minister under section 231.1 or 231.2 if the judge is satisfied that (a) the person was required under section 231.1 or 231.2 to provide the access, assistance, information or document and did not do so; and (b) in the case of information or a document, the information or document is not protected from disclosure by solicitor-client privilege (within the meaning of subsection 232(1)). [19] Subsections 231.1(1) and 231.2(1) provide as follows: Information Gathering 231.1 (1) An authorized person may, at all reasonable times, for any purpose related to the administration or enforcement of this Act, (a) inspect, audit or examine any document, including books and records, of a taxpayer or any other person that may be relevant in determining the obligations or entitlements of the taxpayer or any other person under this Act; (b) examine any property or process of, or matter relating to, a taxpayer or any other person, an examination of which may assist the authorized person in determining the obligations or entitlements of the taxpayer or any other person under this Act; (c) enter any premises or place where any business is carried on, any property is kept, anything is done in connection with any business or any books or records are or should be kept, except that, if the premises or place is a dwelling-house, the authorized person may enter the dwelling-house without the consent of the occupant only under the authority of a warrant under subsection (3); (d) require a taxpayer or any other person to give the authorized person all reasonable assistance, to answer all proper questions relating to the administration or enforcement of this Act and (i) to attend with the authorized person, at a place designated by the authorized person, or by video-conference or by another form of electronic communication, and to answer the questions orally, and (ii) to answer the questions in writing, in any form specified by the authorized person; and (e) require a taxpayer or any other person to give the authorized person all reasonable assistance with anything the authorized person is authorized to do under this Act. ...
EC decision

Coleman C. Abrahams v. Minister of National Revenue, [1966] CTC 694, [1966] DTC 5453

During the latter part of 1960, the President of Encyclopaedia Britannica of Canada Ltd. and the appellant explored the possibility of the appellant selling his ‘‘business’’ in connection with the ‘‘sale’’ of that company’s publications to a company the shares of which would all be owned by the appellant. ...
T Rev B decision

Keith Wilson v. Minister of National Revenue, [1978] CTC 2829, [1978] DTC 1589

The positive factors which would tend to increase the value of the appellant’s property were the projects which should facilitate industrial expansion in Moore township, viz: the designation of certain areas as Industrial Stage I and Stage II; the relocation of highway 40 and its eventual connection with highway 402; the paving of the county road #4 passing south of the subject property and which was to connect with highway 40 and the other projects envisaged in the approved official plan were generally aimed at.promoting the industrial expansion of the township. ...
FCTD

British Columbia Telephone Co. v. Canada, [1991] 1 CTC 482, [1991] DTC 5342

The Court held at page 431 that the words "case or canister" explain one another, that the word "case" used in connection with "canister" must mean a case in the nature of a canister, not strictly speaking, a canister but it must be a solid and substantial thing of wood or metal; or some other solid substance which could be covered over so as to prevent ignition from a spark. ...
TCC

Estate of the Late Jean-François Leduc v. Her Majesty the Queen, [1996] 1 CTC 2873

This exception is very narrow and is available only where there is no connection or link to the employment relationship. [25] No great effort is required here to link the payment of the food transportation expenses to Mr. ...
TCC

SPE Valeur Assurable Inc. v. The King, 2023 TCC 79

Alternatively, they could proceed with the hearing of the appeals, subject to the applicants’ objection to the respondent’s filing the evidence obtained by the CRA in connection with the search, it being understood that this motion would be presented and heard at a time to be determined by the Court, depending on the availability of the parties, after the hearing of the appeals. ...
EC decision

His Majesty the King v. Biltrite Tire Company, [1935-37] CTC 289, [1920-1940] DTC 329

Tires and Tubes— " (iii) Tires in whole or in part of rubber for automotive vehicles of all kinds, including trailers or other wheeled attachments used in connection with any of the said vehicles— two cents per pound; Inner tubes for use in any such tires three cents per pound. ...
EC decision

Hilliard C. McConkey v. Minister of National Revenue, [1935-37] CTC 341

The directors may from time to time pay to the members such interim dividend as in their judgment the position of the company justifies. ‘ ‘ It was in connection with the dividend of 9s. 6d. that the originating summons was issued by the trustee. ...
MBCA decision

Rural Municipality of St. Vital v. City of Winnipeg, [1945] CTC 19

On or about the 30th day of December, 1942, the plaintiff paid under protest to the District Registrar for the defendant the sum of $1,751.40, being the amount required to redeem said lands from said tax sale, to prevent a Certificate of Title issuing to the defendant, which said sum included solicitors’ costs in connection with said tax application, and said sum. was duly paid over to and received by the defendant. ‘14. ...

Pages