Aliments Ca-Mo Foods Inc v. Minister of National Revenue, [1979] CTC 2128, 79 DTC 152 -- text
Roland St-Onge:—L’appel de la compagnie Aliments Ca-Mo Foods Inc est venu devant moi le 14 novembre 1978 en la ville de Québec (Québec).
Roland St-Onge:—L’appel de la compagnie Aliments Ca-Mo Foods Inc est venu devant moi le 14 novembre 1978 en la ville de Québec (Québec).
Guy Tremblay:—The problem is to know whether the direction issued by the respondent under subsection 247(2) of the new Act is actually well founded. The notice of reassessment is based on that direction. The direction deems Covertite Limited to be
The Assistant Chairman:—When the appellant filed his individual income tax return for the 1975 taxation year, he attached to that return a 1975 T-4 supplementary slip which he had received from his employer, the University of Toronto. That slip
The Assistant Chairman:—A S Walker Holdings Ltd (sometimes hereinafter called the “appellant”, “the parent” or “parent”), under another name, carried on its business of bottling soft drinks in the Town of Orangeville in the province of Ontario in 1973
Roland St-Onge:—The appeal of Mr Boris Krivy came before me on October 18, 1978, at the City of Toronto, Ontario and it deals with his 1975 taxation year.
Guy Tremblay:—This case was heard at Montreal, Quebec, on May 15, 1978.
Guy Tremblay:— This case was heard at Halifax, Nova Scotia, on June 14, 1978.
The Chairman:—L’appel de M Roger Beaudoin est à l’encontre d’une cotisation d’impôt en date du 6 octobre 1975 par laquelle le Ministre du Revenu national a ajouté au revenu de l’appelant un montant de $43,273.86 à titre de gain de nature
Guy Tremblay:—This case was heard at Ottawa, Ontario, on December 8, 1978.
The Chairman:—This is the appeal of Gerhard Methner from an income tax assessment dated February 23,1976, by which the Minister added to the appellant’s 1973 income an amount of $9,461.12 on account of sale of property known as "Part of the South