Search - consideration
Results 1021 - 1030 of 1115 for consideration
TCC (summary)
Kaul v. The Queen, 2019 TCC 17 -- summary under Other
. … (1) they did not refer to prior sales of the property; (2) there is no reference to providence; (3) there was multiples of the same print bought and dated; (4) there was no reference to the price paid by the donors; (5) the use of the art was not considered; and (6) no consideration was given to the impact of the flooded market place. ...
FCA (summary)
Plains Midstream Canada ULC v. Canada, 2019 FCA 57 -- summary under Subsection 16(1)
Canada, 2019 FCA 57-- summary under Subsection 16(1) Summary Under Tax Topics- Income Tax Act- Section 16- Subsection 16(1) s. 16(1) can only apply to a debtor if it equally applies to the creditor As part of a complex set of transactions, a predecessor of the taxpayer agreed to assume a $225M loan that was due in perhaps 43-years’ time and that was non-interest-bearing (except in the remote event of oil production from the Beaufort Sea) in consideration inter alia for the payment to it of $17.5 million by the debtor. ...
FCA (summary)
Gillen v. Canada, 2019 FCA 62 -- summary under Subparagraph 110.6(14)(f)(ii)
The Tax Court (D’Arcy J) had found that, in fact, on the same day that the limited partnership acquired the permit rights from its general partner (“Kinderock”), it had transferred their beneficial ownership to Devonian (on an s. 85(2) rollover basis) in consideration for shares, so that its fleeting beneficial ownership of those assets did not qualify them as being used in a Canadian active business, as required under the s. 110.6(14)(f)(ii) test. ...
TCC (summary)
Anand v. The Queen, 2019 TCC 119 -- summary under Evidence
The “contextualist” approach, on the other hand, allows for the consideration of extrinsic evidence when there is latent ambiguity, thus making it possible for the factual matrix surrounding the contract at the time it was formed to be considered. ...
TCC (summary)
Black v. The Queen, 2019 TCC 135 -- summary under Effective Date
Rossiter CJ also found that there was an exchange of legal consideration, stating (at para. 132): Black’s direct advancement of funds to International on Inc.’s behalf is not a bar to a loan existing between Black and Inc. ...
Decision summary
Revenue and Customs v Fortyseven Park Street Ltd, [2019] EWCA Civ 849 -- summary under Residential Complex
Revenue and Customs v Fortyseven Park Street Ltd, [2019] EWCA Civ 849-- summary under Residential Complex Summary Under Tax Topics- Excise Tax Act- Section 123- Subsection 123(1)- Residential Complex users of time shares in complex with boutique-hotel level of service were using hotel or similar accommodation The owner of a property in Mayfair, London that had been converted into 49 residences, agreed with purchasers that, in consideration for a lump sum, each purchaser (a "member”) would have the right, after making a reservation, to use a residence of the particular quality level (1 to 5) for which they had paid, for up to 21 days a year during the term of approximately 50 years (plus for a further 14 nights on payment of a modest charge). ...
FCA (summary)
Canada v. Raposo, 2019 FCA 208 -- summary under Illegality
Similarly, he stated (at para. 55): [T]here is no doubt that broad expressions such as “taxable supply” and “commercial activity” … must be interpreted irrespective of considerations of lawfulness, public order or morality. ...
Decision summary
Gervais Auto Inc. v. Agence du revenu du Québec, 2019 QCCQ 5894, rev'd 2021 QCCA 459 -- summary under Paragraph 20(1)(c)
How can the plaintiff challenge the presumption of correctness of the notices of assessment where the 7.89% rate, considered to be reasonable and adopted by the defendant, falls within the range that its own expert considered to be a reasonable rate based on the current rates in the market for obligations with similar considerations and risks during the period in litigation? ...
TCC (summary)
Kufsky v. The Queen, 2019 TCC 254, aff'd 2022 FCA 66 -- summary under Subsection 160(1)
…[I]t is difficult to see how the legal treatment of a dividend under corporate and civil law would prevent Parliament from regarding that dividend, for tax purposes, as a transfer of property without consideration when made by persons who are not dealing at arm's length. … In also rejecting the taxpayer’s argument that a portion of the dividends were in fact loan repayments, he stated (at paras. 25-26): However, this does not change the fact that the dividends … were reported as dividends …. ...
FCA (summary)
Fink v. Canada (Attorney General), 2019 FCA 276 -- summary under Subsection 23(2)
. … The appellant also argues that he was denied procedural fairness because he legitimately and reasonably expected that he would be provided the same process considerations as the successful SDL Optics employees. … I disagree. ...