Reginald H Coates v. Minister of National Revenue, [1979] CTC 2802, 79 DTC 677 -- text

The Assistant Chairman:— Reginald H Coates (the appellant) filed his income tax return for the 1975 taxation year and claimed as maintenance payments the sum of $1,698. The Minister of National Revenue (the respon- dent) disallowed that claim.

Colin J Gillespie v. Minister of National Revenue, [1979] CTC 2798, 79 DTC 665 -- text

The Assistant Chairman:—When the appellant filed his income tax return for the 1976 taxation year, he claimed child care expenses in the sum of $170. On assessment the respondent disallowed the claim, and the accompanying explanation of the disallowance

Morbane Developments LTD v. Minister of National Revenue, [1979] CTC 2794, 79 DTC 674 -- text

The Chairman:—The appeal of Morbane Developments Ltd is from an assessment in respect of the 1973 taxation year. In its tax return of that year, the appellant reported taxable income in the amount of $644,614 as Canadian investment income pursuant to

Bcaa Insurance Company v. Minister of National Revenue, [1979] CTC 2786, [1979] DTC 668 -- text

The Assistant Chairman:—The appellant, in computing its taxable income for the 1971 taxation year, deducted from its otherwise taxable income of that year a loss-carry-forward from its 1970 taxation year of $72,245. The respondent, on assessment, disallowed that

Paul H Serson v. Minister of National Revenue, [1979] CTC 2785, 79 DTC 681 -- text

Guy Tremblay:— This case was heard on common evidence December 6, 1978, at Ottawa, Ontario, with the cases of Thomas Dauphinee (78-545) and Dr Sai Hoi Tsao (78-546).

1. Point at Issue

The problem is whether the appellant is correct not to include in his income for the 1976 taxation year the amount of $2,591.83 received as an award from Canadian Patent and Development Limited, pursuant to the Public Servants Inventions Act.

DR Sai Hoi Tsao v. Minister of National Revenue, [1979] CTC 2785, 79 DTC 681 -- text

Guy Tremblay:—This case was heard on common evidence December 6, 1978, at Ottawa, Ontario, with the cases of Thomas Dauphinee (78-545) and Paul H Serson (78-544).

1. Point at Issue

The problem is whether the appellant is correct not to include in his income for the 1976 taxation year the amount of $1,329.45 received as an award from Canadian Patent and Development Limited, pursuant to the Public Servants Inventions Act.

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