Jean-Louis Gauthier v. Her Majesty the Queen, [1977] CTC 4, 77 DTC 5009 -- text

Marceau, J:—Appellant is appealing the decision of the Tax Review Board (on gifts} upholding the Minister’s assessment dated August 31, 1971, which required that he pay tax of $17,530 on gifts which he allegedly made during the 1969 taxation year, when

Western Wholesale Drug Ltd. v. The Queen, 77 DTC 5021, [1977] CTC 1 (FCTD) -- text

Mahoney, J:—The issue is whether the plaintiff acquired 142,998 common shares of Stanley Drug Products Limited with the intention of disposing of them at a profit. It acquired them at a price of $1,121/2 each in a transaction that closed April 2,

Canada (Attorney General) v. Benjamin Moore & Co., 2022 FCA 194 -- text

R. v. Doxtator, 2022 SCC 40 -- text

Abbvie Corporation v. Canada (Health), 2022 FC 1538 -- text

Vincent N Hurd v. Minister of National Revenue, [1978] CTC 2349, 78 DTC 1282 -- text

The Assistant Chairman:—The appellant’s appeal to this Board from an assessment for income tax for the 1973 taxation year proceeded before this Board on a statement of agreed facts. The relevant portions of the statement, excluding the “Agreement’ referred

Robert Wayne Spicer v. Minister of National Revenue, [1978] CTC 2346, 78 DTC 1268 -- text

A W Prociuk (orally: January 19, 1978):—The appellant, Robert Wayne Spicer, of Carstairs, Alberta, appeals from the respondent’s reassess- ment of his income for the taxation years 1969, 1970, 1971 and 1972, wherein the appellant was disallowed to deduct

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