Sudden Valley Inc. v. The Queen, 76 DTC 6178, [1976] CTC 297 (FCTD), aff'd 76 DTC 6448, [1976] CTC 775 (FCA) -- text

Addy, J:—The plaintiff, a United States company, was taxed for the years 1969 to 1972 inclusively under Part III of the Income Tax Act, RSC 1952, c 148 (hereinafter referred to as the “former Act”) and, subsequently, under Part

Compagnie Immobilière BCN Limitée v. Her Majesty the Queen, [1976] CTC 282, 76 DTC 6153 -- text

The Chief Justice (judgment delivered from the Bench) (concurred in by Pratte, J and Hyde, DJ):—This is an appeal from a judgment of the Trial Division dismissing an appeal by the appellant from assessments under Part I of the Income

Calfonia Investments Limited v. Rier Majesty the Queen, [1976] CTC 272 -- text

Gibson, J:—For the reasons given in the case of Plan A Leasing Limited v Her Majesty the Queen (Court No T-2224-75) this date, this appeal is allowed with costs, and the matter is directed to be referred back for reassessment not inconsistent with the reasons.

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