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Results 11931 - 11940 of 15463 for connection
TCC

W F Farrell, Iris Steinhoff v. Minister of National Revenue, [1985] 2 CTC 2429, 85 DTC 706

This disposition was reported as a capital gain calculated as follows: Proceeds of disposition $87,452 Less: Adjusted cost base $75,330 Capital gain $12,122 Taxable capital gain $ 6,061 The difference between the proceeds of disposition of $87,452 and the agreed compensation of $89,295 represents reimbursement by Ontario Hydro of expenses incurred by the taxpayer in connection with the expropriation. ...
TCC

Taran Furs Inc v. Minister of National Revenue, [1985] 1 CTC 2255, 85 DTC 188

All information in the issued catalogue and all samples supplied as showbundles are provided without liability and intended to serve only as a guide in connection with the inspection which the Purchaser should perform of the merchandise prior to the auction. ...
T Rev B decision

Brian E Forst v. Minister of National Revenue, [1982] CTC 2053, 82 DTC 1056

However, there is no such latitude allowed Mr Forst in connection with his duties as Morning show host. ...
T Rev B decision

Squair Homes Ltd, Camelot Construction LTD v. Minister of National Revenue, [1982] CTC 2086, 82 DTC 1136

He built through his connection with B & H Homes “one single family dwelling and one side- by-side duplex” (SN p 12). ...
T Rev B decision

Highland-Young Associates Limited v. Minister of National Revenue, [1981] CTC 2526, 81 DTC 531

The architectural fees covering the plans (Exhibit A-7) and specifications (Exhibit A-15) were fixed at $4,500 and the fee for the supervision of the golf course construction was fixed at 5% of the construction costs. 3.26 In the first paragraph of Exhibit A-6 one can read: I am pleased to confirm the arrangement we agreed upon in connection with the design of an integrated golf course and housing project and the development of the golf course. ...
FCTD

Buitrago Rey v. Canada (Citizenship and Immigration), 2021 FC 852

The article provided has little — if any — connection with the risk they alleged from unknown persons. ...
FCTD

McDonnell Douglas Canada Ltd. v. R., [1997] 1 CTC 37

This phrase does not necessarily imply or mean a direct physical connection. ...
FCA

Her Majesty the Queen v. Melville Neuman, [1996] 3 CTC 270, 96 DTC 6464

Subsection 178(2) reads 178(2) Costs payable by Minister in certain cases- Where, on an appeal by the Minister, other than by way of cross-appeal, from a decision of the Tax Court of Canada, the amount of (a) tax, refund or amount payable under subsection 196(2) (in the case of an assessment of the tax or determination of the refund or the amount payable, as the case may be) that is in controversy does not exceed $10,000, or (b) loss (in the case of a determination of the loss) that is in controversy does not exceed $20,000, the Federal Court, in delivering judgment disposing of the appeal, shall order the Minister to pay all reasonable and proper costs of the taxpayer in connection therewith. ...
TCC

Schmidt v. R., [1999] 2 CTC 2793, 99 DTC 788

This explanation is questionable given that the funds in question were being held under A&A’s name and there is no apparent connection between A&A and ETI. ...
SKPC decision

R. v. Vermette, [1999] 3 CTC 270

It is clear that the consequence of being struck from the corporate register is not that the corporation is dissolved, but, rather, that a corporation is not capable of commencing or maintaining an action or other proceeding in the Court in respect of a contract made in whole or in part in Saskatchewan in the course of or in connection with its business (section 275 of The (Saskatchewan) Business Corporation Act. 42. ...

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