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Results 91 - 100 of 1090 for connection
FCTD
Loblaws Inc. v. Columbia Insurance Company, 2019 FC 961
Based on the evidence canvassed above, the levels of use, publicity and sales in connection with the PC Word Mark are less than that of the PC Script Mark, particularly in connection with the kitchenware products, and the precise difference is difficult to quantify. ... In relation to identification, the Policy Guide reads as follows: [REDACTED] [114] Pampered Chef relies on this requirement not only in connection with ICs’ online activities but also in connection with how it approaches in-home parties, where Ms. ... [160] Loblaw again acknowledges that, if confusion is not established in connection with s 20, the passing off claim under s 7(b) also will not succeed. ...
FCTD
Qureshi v. MNR, 79 DTC 5161, [1979] CTC 216 (FCTD)
Dr Qureshi has posted $17,000 bail in connection with his prosecution on a number of charges under section 239 of the Act arising out of his 1975, 1976 and 1977 income tax returns. ...
FCTD
Fabi v. Canada (Minister of National Revenue), 2004 FC 439
Canada (Minister of National Revenue), 2004 FC 439 Date: 20040324 Docket: T-89-04 Citation: 2004 FC 439 Montreal, Quebec, March 24, 2004 Present: RICHARD MORNEAU, PROTHONOTARY BETWEEN: DONALD FABI Applicant and MINISTER OF NATIONAL REVENUE Respondent REASONS FOR ORDER AND ORDER [1] This is a motion by the applicant in connection with an application for judicial review essentially for rulings in his favour on certain objections raised by the respondent during the examination of the respondent's affiant (the examination of Mr. ...
FCTD
Millette v. Canada (Minister of National Revenue), docket T-2419-98
Additionally, Parliament has not authorized the Crown, in the course of a seizure made pursuant to s. 224 of the Income Tax Act, to observe immunity from seizure pursuant to a provincial statute, as it actually did in connection with a seizure of movable property under s. 225(5). ...
FCTD
Levasseur v. Canada (Minister of National Revenue), docket T-495-99
ORDER AND REASONS ROULEAU J. [1] This case concerns an application to review and set aside a decision by the Minister of National Revenue refusing to disclose information pursuant to an application for access to information regarding a tax audit made on November 13, 1995, in connection with the annual payment of taxes levied under the GST (goods and services tax) and QST (Quebec sales tax), money which was levied for a period of three and a half years. [2] The plaintiff asked Revenue Canada and Revenue Quebec to give her a complete copy of the entire file dealing with the tax audit of her convenience store. ...
FCTD
Formosi v. Canada Revenue Agency, 2010 FC 326
However on some occasions those events did not match with the years of delinquency and in all instances the Applicant did not clearly show a connection between those events and the delinquencies. ...
FCTD
495187 Ontario Ltd. v. Canada, [1996] 1 CTC 45
In connection with this motion, the Crown has filed two affidavits. A notice of examination has been served on each of the affiants, one styled in the Ontario Court and one in this Court. ...
FCTD
Gerard O'SULLIVAN v. Her Majesty the Queen (No.1), [1991] 2 CTC 90, 91 DTC 5374
Here the connection was even more remote, being no doubt by way of transfer payment to one or more provinces, and by such provinces to doctors, hospitals and others performing the abortions. ...
FCTD
Her Majesty the Queen v. Gicleurs Astra Ltée, [1987] 2 CTC 15
In this connection Marceau, J. said the following in Antares Shipping Corporation v. ...
FCTD
Her Majesty the Queen v. Wei Holdings LTD, [1979] CTC 116, 79 DTC 5081
By virtue of section 241, information received by the Minister under the Income Tax Act is not to be communicated or produced to any person except to an official or authorized person in the course of his duties or in connection with the administration or enforcement of the Income Tax Act. ...