Frank a Coffey v. Minister of National Revenue, [1977] CTC 2283, 77 DTC 198 -- text

Delmer E Taylor:—This is an appeal from an income tax reassessment for the year 1968 in which the Minister of National Revenue deducted an amount of $4,281 from income earned solely in the Province of Quebec rather than proportionately from the

Alfred M Kotelko v. Minister of National Revenue, [1977] CTC 2274, 77 DTC 205 -- text

The Assistant Chairman:—When Alfred M Kotelko (hereinafter referred to as the ‘‘appellant’’) filed his income tax return for the 1971 taxation year, he stated he was the president of Telco Realty Ltd. To arrive at his total income for the year

Albert L Cunningham v. Minister of National Revenue, [1977] CTC 2270, 77 DTC 192 -- text

The Assistant Chairman:—Mr Cunningham (hereinafter referred to as “the appellant’’), when he filed his income tax return for the 1973 taxation year, claimed as an allowable capital loss the sum of $1,000. The respondent, on assessing the appellant for

Sarah Richter v. Minister of National Revenue, [1977] CTC 2261, 77 DTC 183 -- text

Delmer E Taylor:—This is an appeal from income tax reassessments by which the Minister of National Revenue increased the taxable income of the appellant by amounts of $3,128.50 and $3,137 respectively for the years 1971 and 1972. Both the appellant

Sidney S Fletcher v. Minister of National Revenue, [1977] CTC 2256, [1977] DTC 185 -- text

The Assistant Chairman:—The appellant appealed to this Board from a reassessment for tax relating to the 1973 taxation year. There is no dispute as to the quantum of the income involved; the sole difference between the parties is the quantum of

Vincent Doriste Moreau v. Minister of National Revenue, [1977] CTC 2249, 77 DTC 153 -- text

The Assistant Chairman:—Mr Moreau carries on the business of a general insurance agent in the Town of Penetanguishene in the Province of Ontario. In preparing the financial statements for his business for the 1973 taxation year, Mr Moreau deducted an

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