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Results 5121 - 5130 of 15526 for connection
TCC
Sirivar v. The Queen, 2009 TCC 100 (Informal Procedure)
Sirivar is not appealing the assessment of tax in connection with the self-funded leave plan, but is disputing how much has been collected and remitted. ...
TCC
Sherrick v. The Queen, 2009 TCC 148 (Informal Procedure)
If the reference is to “International Tax Services Office,” this provides a further possible connection between the envelope (addressed to that office) and the income tax return. ...
TCC
Reynolds v. The Queen, 2009 TCC 470 (Informal Procedure)
That provision reads as follows: Right of Entry 23 Notwithstanding the Purchaser occupying the Unit on the Closing Date or the closing date of [the] transaction and the delivery of title to the Unit to the Purchaser, as applicable, the Vendor or any person authorized by it shall be entitled at all reasonable times and upon reasonable prior notice to the Purchaser to enter the Unit and the common elements in order to make inspections or to do any work or replace therein or thereon which may be deemed necessary by the Vendor in connection with the Unit or the common elements and such right shall be in addition to any rights and easements created under the Act. ...
TCC
Ouellette v. The Queen, 2009 TCC 443
"Commercial activity" is defined as follows in the Act: "commercial activity" of a person means (a) a business carried on by the person (other than a business carried on without a reasonable expectation of profit by an individual, a personal trust or a partnership, all of the members of which are individuals), except to the extent to which the business involves the making of exempt supplies by the person, (b) an adventure or concern of the person in the nature of trade (other than an adventure or concern engaged in without a reasonable expectation of profit by an individual, a personal trust or a partnership, all of the members of which are individuals), except to the extent to which the adventure or concern involves the making of exempt supplies by the person, and (c) the making of a supply (other than an exempt supply) by the person of real property of the person, including anything done by the person in the course of or in connection with the making of the supply; The word "business" is defined as follows: “business ” includes a profession, calling, trade, manufacture or undertaking of any kind whatever, whether the activity or undertaking is engaged in for profit, and any activity engaged in on a regular or continuous basis that involves the supply of property by way of lease, licence or similar arrangement,. but does not include an office or employment; [18] The word “supply” is defined, subject to sections 133 and 134, as the provision of property or a service in any manner, including sale, transfer, barter, exchange, licence, rental, lease, gift or disposition, while "taxable supply" means a supply that is made in the course of a commercial activity. ...
TCC
Vescio v. The Queen, 2007 TCC 690
[3] The Applicant owns certain real estate assets and he has received rental income and incurred rental expenses in connection with the real estate assets ...
TCC
Gagné v. The Queen, 2007 TCC 175 (Informal Procedure)
[6] The issue for determination is whether the Appellant is entitled to a rebate of the GST that she paid in connection with her self-built home project ...
TCC
Marks v. The Queen, 2007 TCC 113 (Informal Procedure)
She was also assessed under the Excise Tax Act net tax of $6,418.18 plus interest and penalties with respect to the period November 1, 2001 to December 31, 2003 in connection with the business income. ...
TCC
Carlin v. The Queen, 2007 TCC 143 (Informal Procedure)
In this connection I cite the following court decisions: In Ramey v. ...
TCC
Chu v. The Queen, 2007 TCC 262 (Informal Procedure)
In this connection, the evidence, especially the testimony of Diane Tawnley, an appeals officer and Exhibit R-3, make it clear that the Appellant and his wife had separate residences throughout 2004 and although the wife spent some time in the Appellant’s residence, even sleeping there from time to time, this, in my opinion, is very natural when two persons are the parents of two children with joint custody. ...
TCC
Côté c. La Reine, 2007 TCC 182 (Informal Procedure)
In fact, the first time that this problem arose was in connection with the remittance period of January 1, 2003, to March 31, 2003. ...