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Results 11401 - 11410 of 15462 for connection
TCC
Dimaria v. The Queen, 2008 TCC 114
.-- the amount, if any, by which (i) the total of all amounts (other than … amounts received in respect of, in the course of or by virtue of an office or employment) received by the taxpayer in the year, each of which is an amount received by the taxpayer as or on account of a scholarship, fellowship or bursary, or a prize for achievement in a field of endeavour ordinarily carried on by the taxpayer (other than a prescribed prize), exceeds (ii) the taxpayer's scholarship exemption for the year computed under subsection (3); [Emphasis added] [31] For taxation years after 2005, subsection 56(3) of the Act provides for a full exclusion from income of scholarships, fellowships, and bursaries where these amounts are received in connection with an individual's enrolment in an educational program in respect of which the education tax credit may be claimed. ...
TCC
Coicou v. M.N.R., 2008 TCC 628
In an interview held on June 19, 2002, in connection with his February 2002 work permit application, an immigration officer recommended that he apply for a pardon as soon as possible so that his application for permanent residence could be finalized ...
TCC
Krpan v. The Queen, 2006 TCC 595
Huffman's next significant connection with the Appellant was in April 1998 when the Appellant and Nancy had separated, and the Appellant had left the matrimonial home. ...
TCC
Reynders v. M.N.R., 2007 TCC 219
Further, subsection 17(1) provides as follows: Unless and until a corporation holds a certificate of registration that is in force, it shall not be capable of bringing or maintaining any action, suit or other proceeding in any court in the Province in respect to any contract made in whole or in part in the Province in connection with any part of its business done or carried on in the Province while it did not hold a certificate of registration that was in force, provided, however, that this Section shall not apply to any Company incorporated by or under the authority of an Act of the Parliament of Canada or by or under the authority of an Act of the Legislature. ...
TCC
Tsuruda v. The Queen, 2006 TCC 288
They had absolutely no connection with any Indian reserve other than for the purpose of obtaining the section 87 exemption from income tax. ...
TCC
Kern v. The Queen, 2005 TCC 314 (Informal Procedure)
He spent considerable time in examining the Respondent's witness regarding what has been collected by CRA in connection with the unremitted source deductions. ...
TCC
Porter v. M.N.R., 2005 TCC 364
However, in a recent judgment this Court undertook to reject that approach, and I take the liberty of citing what I then wrote in this connection in the reasons submitted for the Court. ...
TCC
Craib v. The Queen, 2005 TCC 434 (Informal Procedure)
In this connection it appears that notice has been given to all of the Attorneys-General in accordance with section 19.2 of the Tax Court of Canada Act. ...
TCC
Chartwell Management Inc. v. The Queen, 2004 TCC 728
In fact, due to insufficient funds Hypercore had to make do at all times with inadequate tools and with using programmable technology (rather than manufacturing its own integrated circuits), as a result of which its only demonstrable switch operated at one-half the projected speed and with unsatisfactory wiring and computer connections in 1997. ...
TCC
Lacasse c. La Reine, 2004 TCC 611 (Informal Procedure)
At the continuation of the hearing on October 23, 2003, the appellant's counsel wanted to re-amend his notice of appeal to include a specific reason for objection in connection with the use of statistics to establish the personal expenditures of the appellant and his wife, a reason based on the financial participation of the appellant's son, Patrick Lacasse, in the family's expenses. ...