H a Fawcett & Son, Limited v. Her Majesty the Queen, [1979] CTC 303, 79 DTC 5224 -- text

Dubé, J:—The main issue to be determined in this case is whether the plaintiff corporation in its fiscal year ending November 30, 1975 was associated with Fawcett Enterprises Limited and Son Valley Ranch Limited under paragraph 256(1)(b) of the

Her Majesty the Queen v. Samuel Eidinger, [1979] CTC 296, 79 DTC 5218 -- text

Walsh, J:—This is an appeal from a decision of the Tax Review Board dated February 25, 1977 referring defendant’s assessments for his 1971 and 1972 taxation years back to the Minister of National Revenue for reconsideration and reassessment. The Minister

Eastern Provincial Airways (1963) LTD v. Her Majesty the Queen, [1979] CTC 293, 79 DTC 5187 -- text

Pratte, J:—This is an appeal from a judgment of the Trial Division ordering the appellant to pay the respondent the sum of $587,769.63 together with the penalty prescribed by subsection 50(4) of the Excise Tax Act and the costs of the

Re Schmit, [1979] CTC 275 -- text

MacPherson, J:—The Board of Revenue Commissioners achieved a certain amount of unjustified notoriety for appearing to hold in this matter that an aeroplane is a tractor and therefore exempt from provincial sales tax. The Minister, being dubious, appealed to this Court.

Controlled Foods Corporation Limited v. Her Majesty the Queen, [1979] CTC 270, 79 DTC 5189 -- text

Gibson, J:—Controlled Foods Corporation Limited operates restaurants in the Provinces of British Columbia, Alberta, Saskatchewan and Ontario and so the same issue as arises in this appeal would arise in respect of all their restaurants.

Farmparts Distributing LTD v. Her Majesty the Queen, [1979] CTC 263, 79 DTC 5193 -- text

Gibson, J:—Farmparts Distributing Ltd of Saskatchewan, Canada by notices of assessment for income tax dated November 26, 1976 and April 29, 1976 was levied tax equivalent to 15% of two amounts paid by it to Wonder International Limited of New Jersey,

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