Joseph Burnett, Burnac Corporation Limited, Burnac Mortgage Investors Limited and Burnac Realty Investors Limited v. Minister of National Revenue, [1977] CTC 102, 77 DTC 5059 -- text

Mahoney, J:—The applicants move by Originating Notice of Motion for an order removing into this Court the seizure and continued detention of certain books and records under paragraph 231(1)(d) of the Income Tax Act and for an

Her Majesty the Queen v. Restaurant & Bar La Seigneurie De Sept-Lles Inc, [1977] CTC 96, 77 DTC 5129 -- text

Walsh, J:—On June 28, 1976 a certificate was produced in this Court pursuant to section 223 of the Income Tax Act establishing that defendant was indebted to plaintiff pursuant to section 24 of the Canada Pension

Holden Wild Rice Limited v. Her Majesty the Queen, [1977] CTC 76, 77 DTC 5064 -- text

Smith, DJ:—In this action the plaintiff claims that the reassessment of its income for the taxation year ending December 31, 1970 by which $81,076.25 was added to its income for that year and the confirmation thereof by the Minister of National

Stevenson Construction Co Ltd, Burdett Construction Co Ltd, Mott Electric Limited, Fraser River Pile Driving Company Limited and Greenlees Piledriving Co LTD v. Her Majesty the Queen, [1977] CTC 65, 77 DTC 5045 -- text

Collier, J:—The plaintiffs claim refunds, totalling $39,442.50, of excise or sales tax paid, during 1969 to 1971 inclusive, to the federal Crown. They found their cause of action on subsection 44(2) of the Excise Tax Act, RSC 1970,

Royal American Shows, Inc v. His Honour Judge R McClelland and Minister of National Revenue, [1977] CTC 52, 77 DTC 5052 -- text

Le Dain, J (concurred in by Urie, J):—This is an application under section 28 of the Federal Court Act to review and set aside an order under subsection 231(2) of the Income Tax Act, SC 1970-71-72,

Minister of National Revenue v. The Iroquois of Caughnawaga (Caughnawaga Indian Band), [1977] CTC 49, 77 DTC 5127 -- text

The Chief Justice (dissenting):—This is a section 28 application to set aside a decision rendered by an Umpire under section 84 of the Unemployment Insurance Act, 1971.

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