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TCC (summary)

Oxford Properties Group Inc. v. The Queen, 2016 TCC 204, rev'd 2018 FCA 30 -- summary under Subsection 45(2)

The Queen, 2016 TCC 204, rev'd 2018 FCA 30-- summary under Subsection 45(2) Summary Under Tax Topics- Statutory Interpretation- Interpretation Act- Subsection 45(2) subsequent amendment shed light on scope of previous version In connection with rejecting an argument that it was an abuse to bump an LP interest under s. 88(1)(d) and sell the bumped LP interest to a tax-exempt without recognizing the underlying recapture of depreciation, D'Arcy J noted that a subsequent amendment accomplished that result and stated (at paras 153 and 148): [N]ew subparagraph 88(1)(d)(ii.1) is relevant when determining whether the object, spirit and purpose of paragraphs 88(1)(c) and (d) were frustrated by the Oxford Transactions. … The amendment limits the amount by which the amalgamated company may bump the cost of any qualifying partnership interest held by the subsidiary. ...
TCC (summary)

Cook v. The Queen, 2017 TCC 188 (Informal Procedure) -- summary under Effective Date

However, the taxpayer’ claim still failed on the ground that “no statutory language used in or in connection with subsection 118(1) indicates that the deductions may be prorated for a taxation year” (para. 26) – and here, the support obligation had been agreed to be terminated only partway through the year. ...
TCC (summary)

Gladwin Realty Corporation v. The Queen, 2019 TCC 62, aff'd 2020 FCA 142 -- summary under Section 123.3

The Queen, 2019 TCC 62, aff'd 2020 FCA 142-- summary under Section 123.3 Summary Under Tax Topics- Income Tax Act- Section 123.3 no CRA challenge to continuance to BVI to avoid s. 123.3 tax Hogan J found that transactions- in which the taxpayer recognized two capital gains in connection with the sale of a property to a third party and then offset the second capital loss under s. 40(3.12), produced a resulting double-increase to its capital dividend account- were abusive for s. 245(4) purposes. ...
TCC (summary)

1378055 Ontario Limited v. The Queen, 2019 TCC 149 -- summary under Subparagraph 3(b)(i)

The Queen, 2019 TCC 149-- summary under Subparagraph 3(b)(i) Summary Under Tax Topics- Excise Tax Act- Regulations- Input Tax Credit Information (GST/HST) Regulations- Section 3- Paragraph 3(b)- Subparagraph 3(b)(i) failure to quote registration number was fatal The appellant, which was seeking to develop one of its residential rental properties as a commercial storage site, received services from individuals or companies associated with the Foley family in connection with such property development. ...
TCC (summary)

SPE Valeur Assurable Inc. v. The Queen, 2019 TCC 174 -- summary under Section 7

The Queen, 2019 TCC 174-- summary under Section 7 Summary Under Tax Topics- Other Legislation/Constitution- Charter (Constitution Act, 1982)- Section 7 s. 7 not engaged in a civil proceeding even where based on records seized in criminal investigation In connection with an investigation of the taxpayers by the Criminal Investigations Directorate of CRA, the Directorate seized records of the taxpayers pursuant to a search warrant obtained pursuant to s. 490 of the Criminal Code. ...
TCC (summary)

National R&D Inc. v. The Queen, 2020 TCC 47, aff'd 2022 FCA 72 -- summary under Scientific Research & Experimental Development

The Queen, 2020 TCC 47, aff'd 2022 FCA 72-- summary under Scientific Research & Experimental Development Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Scientific Research & Experimental Development programming costs were not SR&ED The taxpayer (“National”), which provided consulting services to clients, claimed to have made SR&ED expenditures of $68,029 and generated investment tax credits of $23,810 in connection with developing a computer program that would automate aspects filing SR&ED claims with the CRA through a web-based, cross-platform and cross-browser framework to track claimable SR&ED projects. ...
TCC (summary)

Saunders v. The Queen, 2020 TCC 114 (Informal Procedure) -- summary under Subsection 5(1)

They described the conduct of the assistant director in connection with their complaints as harassing, and claimed that the award constituted damages for personal injury and violation of their rights under their collective agreement, and should be treated as a personal injury award that was non-taxable under s. 81(1)(g.1). ...
TCC (summary)

Airzone One Ltd. v. The Queen, 2022 TCC 29 -- summary under Evidence

The Queen, 2022 TCC 29-- summary under Evidence Summary Under Tax Topics- General Concepts- Evidence taxpayer could call and cross-examine the CRA technical expert In connection with a CRA challenge to its SR&ED claims for various projects for the testing of airborne contaminants, the taxpayer called not only its founder (Mr. ...
TCC (summary)

1351231 Ontario Inc. v. The King, 2024 TCC 37, aff'd 2025 FCA 53 -- summary under Subsection 206(2)

., the doing of something in connection with the establishment of a commercial activity) (para. 46), so that there was a deemed acquisition by the Appellant of the property. ...
TCC (summary)

Garron Family Trust v. The Queen, 2009 DTC 1568, 2009 TCC 450, aff'd sub nom St. Michael Trust Corp. v. The Queen, 2010 DTC 5189 [at 7361], 2010 FCA 309, aff'd sub nom Fundy Settlement v. Canada, 2012 SCC 14 -- summary under Subsection 245(4)

She also rejected a submission that it represented an abuse of that Convention to rely on such treaty exemption where the trust in question had very little connection with Barbados. ...

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