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Results 621 - 630 of 15560 for connection
TCC (summary)
Devon Canada Corporation v. The Queen, 2018 TCC 170 -- summary under Adjusted Cost Base
Such surrenders occurred (and were previously contemplated in agreements with purchaser corporations to occur) in connection with the acquisition of all their shares by unrelated corporate purchasers. ...
Decision summary
Les Développements Iberville Ltée v. Agence du Revenu du Québec, 2018 QCCA 1886 (Quebec Court of Appeal) -- summary under Subsection 249.1(1)
In connection with a finding that these transactions gave rise to an abuse under the Quebec general anti-avoidance rule, Schrager JA noted that establishing different year ends for provincial and federal purposes was contrary to the purpose of the Quebec definition of “fiscal period” in Taxation Act, s. 7 which, in copying the federal definition, did not show any intention to allow different year ends for federal and Quebec purposes, stating (at para. 52): The definition of fiscal period essentially copied from the federal legislation some years ago cannot in context be characterized as tax policy and certainly not a policy to treat capital gains differently from other provinces or from the federal government. ...
Decision summary
Victoria Power Networks Pty Ltd v Commissioner of Taxation, [2019] FCA 77 -- summary under Compensation Payments
Victoria Power Networks Pty Ltd v Commissioner of Taxation, [2019] FCA 77-- summary under Compensation Payments Summary Under Tax Topics- Income Tax Act- Section 9- Compensation Payments additonal customer connection charges to cover loss were income receipts Australian electricity distributors were entitled to require their customers to pay an amount equal to the estimated net economic burden to the distributors of hooking them up to electricity, i.e., where the the present value of the incremental cost exceeded the present value of the incremental revenue. ...
TCC (summary)
Cameco Corporation v. The Queen, 2019 TCC 92 -- summary under Subsection 147(3)
Cameo also incurred disbursements in connection with its appeal of $17.9M. ...
FCTD (summary)
Deegan v. Canada (Attorney General), 2019 FC 960, aff'd 2022 FCA 158 -- summary under Subsection 266(2)
Canada (Attorney General), 2019 FC 960, aff'd 2022 FCA 158-- summary under Subsection 266(2) Summary Under Tax Topics- Income Tax Act- Section 266- Subsection 266(2) Canada’s FATCA-related legislation does not contravene the Charter Mactavish J rejected the position of two American citizens, who had had no significant connection with the U.S. since early childhood, that the information-reporting requirements in ITA Part XVIII resulted in the unreasonable seizure of financial information belonging to U.S. persons in Canada, contrary to s. 8 of the Charter. ...
TCC (summary)
1378055 Ontario Limited v. The Queen, 2019 TCC 149 -- summary under Paragraph (b)
The Queen, 2019 TCC 149-- summary under Paragraph (b) Summary Under Tax Topics- Excise Tax Act- Section 169- Subsection 169(1)- Element B- Paragraph (b) services respecting proposed development of a property did not constitute a use of the property The appellant (“137ON”), which was a corporation owned by members or affiliates of the Foley family that owned 10 residential rental properties, including a house on a 10 acre parcel (the “Subject Property”) which it was seeking to develop as a commercial storage site, received services from individuals or companies associated with the Foley family in connection with such property development. ...
TCC (summary)
1378055 Ontario Limited v. The Queen, 2019 TCC 149 -- summary under Subparagraph 3(c)(iii)
The Queen, 2019 TCC 149-- summary under Subparagraph 3(c)(iii) Summary Under Tax Topics- Excise Tax Act- Regulations- Input Tax Credit Information (GST/HST) Regulations- Section 3- Paragraph 3(c)- Subparagraph 3(c)(iii) statement of terms of payment was implied The appellant, which was seeking to develop one of its residential rental properties as a commercial storage site, received services from individuals or companies associated with the Foley family in connection with such property development. ...
TCC (summary)
Keybrand Foods Inc. v. The Queen, 2019 TCC 161, aff'd 2020 FCA 201 -- summary under Subparagraph 39(1)(c)(ii)
The taxpayer borrowed a larger sum in connection with subscribing for and acquiring common shares of Vidabode in order inter alia to fund the repayment by Vidabode of the GE Capital loans. ...
FCA (summary)
626468 New Brunswick Inc. v. Canada, 2019 FCA 306 -- summary under Shares
In connection with finding that the safe income of Newco was reduced by the amount of corporate income tax ultimately payable by it on its gain on the building sale, notwithstanding that at the time of sale, no income taxes had yet become payable, Webb JA first stated (at para. 39): I agree with … Deuce Holdings that it would only be logical that any arm’s length third party purchaser of shares would take into account any existing tax liability of the corporation, even though such liability may not be payable until a later date. ...
SCC (summary)
Canada (Minister of Citizenship and Immigration) v. Vavilov, 2019 SCC 65, [2019] 4 SCR 653 -- summary under Ordinary Meaning
Vavilov, 2019 SCC 65, [2019] 4 S.C.R. 653-- summary under Ordinary Meaning Summary Under Tax Topics- Statutory Interpretation- Ordinary Meaning administrative decisions must have regard to the provision’s text, context and purpose In connection with noting that a reasonableness review of an administrative decision extends to a review of the administrative body’s approach to statutory interpretation, the Curt stated (at paras. 118, 120): Those who draft and enact statutes expect that questions about their meaning will be resolved by an analysis that has regard to the text, context and purpose, regardless of whether the entity tasked with interpreting the law is a court or an administrative decision maker. ...