Day & Ross v. The Queen, 76 DTC 6433, [1976] CTC 707 (FCTD) -- text
Dubé, J:—These are appeals from reassessments made by the Minister of National Revenue for the taxation years 1966, 1967, 1968, 1969, 1970 and 1971.
Dubé, J:—These are appeals from reassessments made by the Minister of National Revenue for the taxation years 1966, 1967, 1968, 1969, 1970 and 1971.
Marceau, J:—This is an appeal from a decision of the Tax Appeal Board dated January 23, 1970, whereby the appeal of the herein appellant from reassessments to income tax dated January 19, 1966, in respect of the taxation years 1958, 1959 and
Ryan, J (concurred in by Heald and Urie, JJ):—This is an appeal from an order of the Trial Division delivered September 15, 1975, whereby the Crown was directed to pay interest on judgments for costs at 5% per
de Grandpre, J (concurred in by Laskin, CUC, Judson and Beetz, JJ):—Appellant, relying on the provisions of subsection 83(3) of the Income Tax Act, RSC 1952, c 148, as amended, has attacked the assessment for income tax
The Chief Justice (per curiam):—These two appeals raise the same primary question and it is this. If machinery (here a newsprint machine), to be delivered in a knocked-down condition and purchased under a contract providing that title will pass only
Dubé, J:—This is an appeal from a Tax Review Board decision allowing defendant’s appeal from an income tax assessment for his 1972 taxation year. In computing his income, defendant claimed as a deduction the sum of $495 as disbursements for meals.
Gibson, J:—These appeals from a decision of the Tax Review Board dated June 29, 1973 were heard on common evidence and relate to reassessments for the 1964 taxation year of the four corporations, Audrey Cold Storage Limited, Freda Limited, Heleis Storage
Le Dain, J (concurred in by Pratte, J and Hyde, DJ):—This is an appeal from a judgment of the Trial Division dismissing an appeal from a judgment of the former Tax Appeal Board which had dismissed an appeal against
Cattanach, J:—These are appeals by the plaintiff from assessments to income tax by the Minister of National Revenue for the plaintiff’s 1972 and 1973 taxation years whereby the Minister disallowed the plaintiff's claim for a deduction of Canadian exploration
Addy, J:—The deceased, Bertram L Katz, died testate on or about September 18, 1973, leaving all of his property to named executors and trustees in trust to pay the revenue to his wife with the remainder to other beneficiaries after his wife’s