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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