Harvey Fee and Affiliated Offices LTD v. M J Bradshaw, H O Merrett, R W Arbuckle, H E Garland, S F Hobart, J S Hodgson, Bud Cullen, [1976] CTC 505, 76 DTC 6279 -- text

Marceau, J:—This is an application for an injunction ordering the Minister of National Revenue, and the officers empowered to act for this purpose in his name, [not] to produce in the Court of Sessions of the Peace in Montreal a certificate issued

Her Majesty the Queen v. Montreal Trust Company, Administrator of the Estate of Eli Prelutsky, Deceased, [1976] CTC 499, 76 DTC 6355 -- text

Pratte, J (concurred in by Urie, J and Smith, DJ) (judgment delivered from the Bench: December 2, 1975):—The sole issue for determination in this appeal is whether, under the provisions of section 9 of the Estate Tax Act (Statutes of

H Lionel Rosen v. Her Majesty the Queen, [1976] CTC 462, 76 DTC 6274 -- text

Marceau, J:—This is an appeal from the decision of the Tax Review Board dismissing the plaintiff's appeal against the reassessment of his income tax, for the taxation year 1972, by notice of which the Minister of National Revenue had disallowed the amount of

David George Child Menzel, Executor of the Last Will and Testament of and Trustee of the Estate of Robin Ellis Agnew, Deceased v. Her Majesty the Queen, [1976] CTC 460, 76 DTC 6277 -- text

Mahoney, J:—The facts are agreed. Robin Ellis Agnew died in 1973. The plaintiff filed an income tax return for that portion of the year he had lived and reported therein gains on deemed disposition of capital property as required by paragraph

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