Search - considered
Results 22111 - 22120 of 49241 for considered
TCC
John Mercer v. Minister of National Revenue, [1990] 2 CTC 2097, 90 DTC 1608
A number of clauses follow that need not be considered in detail for present purposes. ...
TCC
Bernard Tremblay, Mario Tremblay and Jean-Yves Turmel v. Minister of National Revenue, [1990] 2 CTC 2666
I do not believe that he can be considered negligent in the failure to remit source deductions. ...
FCTD
Monarch Concrete Products Ltd. v. The Queen, [1990] 1 CTC 1
In a letter to the Edmonton District Office dated March 16, 1973, the plaintiff advised the Department that it considered the imposition of sales tax a wrongful act by Revenue Canada, and that “unless we receive a letter advising us as to the current obligations, we will cease paying sales tax effective June 1,1973". ...
FCTD
City Centre Properties Inc. (Successor in Name to Royalty Mall Ltd.) v. Her Majesty the Queen, [1990] 1 CTC 71, 90 DTC 6080
The issues in this action involve broad issues of law not considered in the assessment process. ...
TCC
Denis M. Lee v. Minister of National Revenue, [1990] 1 CTC 2082, 90 DTC 1014
However, a number of factors considered together could establish that the individual is a resident of Canada for Canadian income tax purposes: — past and present habits of life; — regularity and length of visits in the jurisdiction asserting residence; — ties within the jurisdiction; — ties elsewhere; — permanence or otherwise of purposes of stay; — ownership of a dwelling in Canada or rental of a dwelling on a long-term basis (for example, a lease for one or more years); — residence of spouse, children and other dependent family members in a dwelling maintained by the individual in Canada; — memberships with Canadian churches or synagogues, recreational and social clubs, unions and professional organizations; — registration and maintenance of automobiles, boats and airplanes in Canada; — holding credit cards issued by Canadian financial institutions and other commercial entities including stores, car rental agencies, etc; — local newspaper subscriptions sent to a Canadian address; — rental of Canadian safe deposit box or post office box; — subscriptions for life or general insurance including health insurance through a Canadian insurance company; — mailing address in Canada; — telephone listing in Canada; — stationery including business cards showing a Canadian address; — magazine and other periodical subscriptions sent to a Canadian address; — Canadian bank accounts other than a non-resident bank account; — active securities accounts with Canadian brokers; — Canadian driver's licence; — membership in a Canadian pension plan; — holding directorship of Canadian corporations; — membership in Canadian partnerships; — frequent visits to Canada for social or business purposes; — burial plot in Canada; — will prepared in Canada; — legal documentation indicating Canadian residence; — filing a Canadian income tax return as a Canadian resident; — ownership of a Canadian vacation property; — active involvement in business activities in Canada; — employment in Canada; — maintenance or storage in Canada of personal belongings including clothing, furniture, family pets, etc; — obtaining landed immigrant status or appropriate work permits in Canada; — severing substantially all ties with former country of residence. ...
TCC
The Douglas Jamison Caldwell Trust, the Susan Alexandra Caldwell Trust and the Derek Wilson Caldwell Trust v. Minister of National Revenue, [1990] 1 CTC 2310, 90 DTC 1155
Appeals allowed. 1 Subsection 104(24) of the Act provides that for the purposes of subsection 104(6) an amount shall not be considered to be payable in a taxation year unless it was paid in the year to the person to whom it was payable or he was entitled in that year to enforce payment. 2 [1960] Ex.C.R. 221; 60 D.T.C. 1025; affirmed 64 D.T.C. 5266. 3 [1960] C.T.C. 336; 60 D.T.C. 1236. 4 [1988] 1 C.T.C. 2019; 88 D.T.C. 1015. 5 [1902] A.C. 287. 6 M.N.R. v. ...
TCC
George E. Waugh, Jerry W. Higgins, K. Michael Lowther, Trevor S. Russell, Constance K. Duncan, Christopher G. Duncan, Ronald Rodrique, Alex Bodnar, Brian Smedley, Robert L. Brewin, Leslie H. Shumka v. Minister of National Revenue, [1990] 1 CTC 2346, 90 DTC 1117
., who was then a member of the Tax Review Board, considered what was essentially the same legal issue as that dealt with by Mr. ...
TCC
Richard Boileau v. Minister of National Revenue, [1989] 2 CTC 2001, 89 DTC 247
I gave him approximately $30,000 in cash and the home ownerships, which was what I considered to be money as well, and I received assets equal to that. ...
TCC
Deerhurst Resorts Limited v. Minister of National Revenue, [1989] 2 CTC 2082, 89 DTC 352
I have considered the recent decision of the Federal Court of Canada in M.N.R. v. ...
TCC
D & B Oilfield Contracting Ltd. v. Minister of National Revenue, [1989] 2 CTC 2140, 89 DTC 425
The distinction between joint venture and partnership has been considered to be immaterial in Ross v. ...