Les Produits Alimentaires Anco (1961) Inc v. Minister of National Revenue, [1979] CTC 2669, 79 DTC 573 -- text
Guy Tremblayz—Cette cause fut entendue à Montréal (Québec) le 8 novembre 1978.
Guy Tremblayz—Cette cause fut entendue à Montréal (Québec) le 8 novembre 1978.
The Chairman:—The appeals of Kareem Besharah are from an assessment dated December 3, 1976 in respect of the 1972 taxation year and from reassessments dated July 21, 1978 in respect of the 1973 and 1974 taxation years.
Roland St-Onge:—The appeals of Dofin Limited and Miller Stationers Ltd came before me on May 1, 1979, at the City of Edmonton, Alberta, and counsel agreed that these two appeals be heard on common evidence although the issues were different.
The Chairman:—The appeal of Luella Kerr Booth is from an assessment dated December 6, 1977 by which business expenses in the amounts of $3,621.39 and $4,059.08 claimed by the appellant in the 1975 and 1976 taxation years respectively, were disallowed. On
Roland St-Onge:—The appeal of Mr Manfred Holmann came before me on December 11, 1978, at the City of Vancouver, British Columbia, and it is with respect to interest expenses which the appellant claimed in his 1976 taxation year.
M J Bonner:—This is an appeal from an assessment of income tax for the appellant’s 1973 taxation year. The first issue arises from the inclusion, in computing the appellant’s income for the year, of the sum of $589,247, being the gain
The Chairman:—This is the appeal of Mr Malte Von Anrep from an income tax assessment by which the respondent added to the appellant’s 1972 income, the sum of $65,315 as his share of profits realized on the sale of property (hereinafter referred
Guy Tremblay:—La preuve en cette cause fut présentée à Québec (Québec) les 7 et 10 décembre 1977. Les plaidoiries ont été entendues le 10 juillet 1978 à Montréal (Québec).
The Chairman:—The appeals of Mr Paul R Stone and Mr Gene Hartman from assessments in respect of the 1974 taxation year were heard on common evidence, the issue being whether the profits realized by the appellants from the sale of a certain
Roland St-Onge:—The appeal of Mr Terence T Malone came before me on April 4, 1979, at the City of Toronto, Ontario and the issue is whether the appellant is entitled to deduct a business loss in the amount of $139,500 in his 1971