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Results 851 - 860 of 1093 for connection
FCTD

Hudson Bay Mining and Smelting Co., Ltd. v. The Queen, 86 DTC 6244, [1986] 1 CTC 484 (FCTD), aff'd 89 DTC 5515 (FCA)

Although not interconnected, and no agreement at that time to do so, Hudbay felt that in an emergency a public utility could hardly refuse power and a connection was a comparatively easy task. ...
FCTD

St.-Romuald Construction Ltée v. The Queen, 88 DTC 6405, [1988] 2 CTC 324 (FCTD)

., subject to sub-paragraph b) hereof, the sum of $227,000.00, in consideration of which S.R.C. renounces any other recourse in this connection; and K.B.R. renounces any other recourse against S.R.C., except as herein provided, by reason of the partial execution of the work and the cancellation of the sub-contract, assuming for its own account, except as herein specified, the job site as it now is and as if K.B.R. had executed the work from the beginning. b) Of the said sum of $227,000, $200,000 shall be payable within ten days hereof, and the remaining $27,000 on 31 July 1978 unless K.B.R. can prove substantial lack of the co-operation or lack of the consents referred to in paragraph 5c) hereof. ...
FCTD

Northern and Central Gas Corp. Ltd. v. The Queen, 85 DTC 5144, [1985] 1 CTC 192 (FCTD), aff'd 87 DTC 5439, [1987] 2 CTC 241 (FCA)

Part of the Board’s reasons reads as follows: There was no consistent position of the various intervenors and Board counsel with respect to whether the inventory... should be utilized now or in connection with the February 1, 1978 increase. ...
FCTD

MNR v. Mid-West Abrasive Co. of Canada Ltd., 73 DTC 5429, [1973] CTC 548 (FCTD)

Montgomery’s Auditing, Eighth Edition, a well recognized text dealing with accounting principles and distributed to all accounting students in the Province of Ontario states at page 377: “Statement on Auditing Procedure: No. 25, issued in October, 1954, relating to the auditor’s responsibility in: connection with the disclosure of events occurring or becoming known subsequent to the date of statements concerning which he is. expressing an opinion, sets forth the general rule that such financial statements should be adjusted to recognize liabilities determined subsequent to the balance sheet date and prior to the time his report is submitted.” 24. ...
FCTD

Asamera Oil (Indonesia) Ltd. v. The Queen, 73 DTC 5274, [1973] CTC 305 (FCTD)

(c) All permits, licenses and authorizations which may be required by governmental agencies or authorities in connection with the operations hereunder will be obtained and provided by Permina. ...
FCTD

Richstone v. MNR, 72 DTC 6232, [1972] CTC 265 (FCTD), briefly aff'd 74 DTC 6129 (FCA)

The consideration first demanded had been $600,000 which was finally reduced to $300,000 to be divided into $150,000 to be paid by the witness for the appellants’ shares and $150,000 to be paid by Richstone Bakeries Inc et al in respect of the restrictive covenants which had been inserted to prevent the appellants from establishing themselves in the bakery, pastry-making or confectionery business in competition with Richstone Bakeries Inc or using the name “Richstone” in connection with any business similar to any of those carried on by the bakery company and the other two subsidiaries. ...
FCTD

FMC Technologies Co. v. Canada (National Revenue), 2008 DTC 6560, 2008 FC 871

This  is because FOCC acknowledges having received the $18,806,997.15 paid to it by Petro-Canada for the work that FOCC did in connection with the Terra Nova project. ...
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. ...
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. ...
FCTD

Fidelity Investments Canada Ltd. v. Canada (Canada Revenue Agency), 2006 DTC 6360, 2006 FC 551

O'Connor attempted to respond to the concerns expressed by the Applicant in connection with the provision of the information and documents requested in the March 8, 2004 letter. ...

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