D R Milne & Company Limited v. Minister of National Revenue, [1979] CTC 2294, 79 DTC 334 -- text

M J Bonner:—The issue in this appeal is whether the sum of $28,850, being the price fixed by an agreement dated August 1, 1973, between the appellant and Black & Armstrong Limited (hereinafter “Black”) for the purchase by the appellant of,

Joseph Shiewitz v. Minister of National Revenue, [1979] CTC 2291, 79 DTC 340 -- text

M J Bonner:—The appellant appeals from assessments of income tax for the 1973 to 1976 taxation years, both inclusive. The assessments were made on the basis that the deduction of losses from the appellant’s horse racing business was restricted by

Raymond Brackstone v. Minister of National Revenue, [1979] CTC 2277, 79 DTC 284 -- text

Delmer E Taylor:—This is an appeal heard at the City of Toronto, Ontario, on February 26,1979 and deals with an income tax assessment in which the Minister of National Revenue assessed to tax in the year 1976 an amount of $17,500 received

DR Irvis Busch v. Minister of National Revenue, [1979] CTC 2275, 79 DTC 277 -- text

M J Bonner:—This is an appeal from an assessment of income tax for the appellant’s 1973 taxation year. The respondent included, in the computation of the appellant’s income for the year, the sum of $80,903.62 as capital cost allowance recaptured

Harold Levy, Ernest Levy and Sheldon Clavir Lepovsky v. Minister of National Revenue, [1979] CTC 2254, 79 DTC 219 -- text

Delmer E Taylor:—These appeals were heard at the City of Toronto, Ontario, on November 8, 14 and 15, 1978, and deal with income tax assessments for the taxation years 1971, 1972 and 1973 in which the Minister of National Revenue increased

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