Minister of National Revenue v. John Douglas Rice and Barbara Jean Rice, the Taxpayers, and John Douglas Riceand Minister of National Revenue, [1976] CTC 2001 -- text

A W Prociuk (orally: November 26, 1975):—The appellant, the late John Douglas Rice, appealed from the respondent’s reassessment of his income for the taxation year 1971 wherein a deduction of $1,400 which the appellant sought to deduct from his income (and which sum,

Her Majesty the Queen v. Ball Brothers Limited, [1976] CTC 793, 77 DTC 5004 -- text

Mahoney, J:—The issue in this case is whether the grant by the defendant of an option to a lessee to purchase an interest in real property, acquired with a view to the particular lease, conclusively establishes the defendant’s intention, on acquisition,

Kensington Land Developments LTD v. Her Majesty the Queen, [1976] CTC 783, 77 DTC 5011 -- text

Collier, J:—The plaintiff company sold, in 1967, a shopping centre in Edmonton, Alberta. The Minister of National Revenue added into taxable income the gain ($41,831.18) on the sale, as a profit from a business or from an adventure in the nature of

Korvette Realties Limited v. Her Majesty the Queen, [1976] CTC 780, 76 DTC 6481 -- text

Marceau, J:—By its action, the plaintiff herein seeks to obtain that a reassessment of the Minister of National Revenue, wherein a tax in the sum of $13,466.40 was levied on it in respect of income for the taxation year 1970, be vacated.

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