Perrault v. The Queen, 76 DTC 6021, [1976] CTC 65 (FCTD), aff'd 78 DTC 6272, [1978] CTC 395 (FCA) -- text

Walsh, J:—This is an appeal against an assessment by defendant whereby the sum of $350,005.50 was added to plaintiff’s income for the taxation year 1965 as a benefit allegedly paid to him under the provisions of the Income Tax

Her Majesty the Queen v. Reverend Joseph K Wipf, Jacob K Wipf, Reverend Peter S Tschetter, Reverend John K Hofer and Reverend John K Wurz, [1976] CTC 57, 76 DTC 6059 -- text

The Chief Justice (orally, per curiam):—We do not need to hear you, Mr Matheson. We agree with the judgment of the Federal Court of Appeal and this appeal is, accordingly, dismissed with costs.

New Continental Oil Company of Canada Limited v. Her Majesty the Queen, [1976] CTC 44, 76 DTC 6038 -- text

Mahoney, J:—As a resuit of a consent to judgment filed herein July 25, 1975 there remain three issues to be dealt with in these reasons, namely the issues raised under the headings “Bituminous Sands Leases”, paragraphs 3 to 5 inclusive; “Conjuring

Her Majesty the Queen v. Stuart House Canada Limited, [1976] CTC 37, 76 DTC 6033 -- text

Addy, J:—The issue in this case is the liability of the defendant for payment of excise tax as a manufacturer or a producer of aluminum foil. There is no question as to the amount due if liability is found to exist, the parties being agreed as

Gustavson Drilling (1964) Limited v. Minister of National Revenue, [1976] CTC 1, 75 DTC 5451 -- text

Dickson, J (concurred in by Martland and Judson, JJ):—This is an income tax case concerning the right of the appellant Gustavson Drilling (1964) Limited to deduct in the computation of its income for the 1965, 1966, 1967 and 1968 taxation years

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