Burns v. R., [1998] 4 CTC 2149 -- text

Rowe D.J.T.C.:

The appellant appeals from an assessment of income tax for her 1993 taxation year (97-676(IT)l) and also from assessments of income tax for her 1994 and 1995 taxation years (97-2974(IT)I). The appellant and counsel for the respondent agreed her appeals would be heard together and all parties agreed the appeal of Robert V. Burns (97-675(IT)l) from an assessment of income tax for his 1992 taxation year would be heard at the same time on common evidence.

Biderman v. R., [1998] 4 CTC 2144, 98 DTC 2188 -- text

McArthur T.C.J.:

These appeals concerning the Appellants’ assessments, dated July 19, 1995, were heard on common evidence. The Minister of National Revenue (the “Minister”) assessed the Appellants $74,723[1] in respect of a Transfer of Property to them by their father, Michael B. Biderman, within the meaning of section 160 of the Income Tax Act (the “Act”). It is not in dispute that at all material times Michael B. Biderman was indebted to Revenue Canada and had been since 1989.

Barker v. R., [1998] 4 CTC 2137 -- text

Beaubier T.C.J.:

This appeal pursuant to the Informal Procedure was heard at Cranbrook, British Columbia on June 9, 1998. The Appellant was called to give testimony by counsel for the Queen. George William Barker was called to give testimony by Marlene Barker’s agent. Mr. Barker was joined into the appeal of Marlene Barker by an Order under section 174 of the Income Tax Act.

Paragraphs 6 and 7 of the Reply to the Notice of Appeal read:

Turner v. R., [1998] 4 CTC 2122, 99 DTC 13 -- text

O^Connor T.C.J.:

This appeal was heard at Yellowknife, Northwest Territories on August 4, 1998. The Appellant represented himself and he was the only witness.

The issue is whether the Appellant is entitled to an allowable business investment loss in the 1994 year pursuant to section 50 of the Income Tax Act (“Act’).

I find the principal facts to be as follows:

1. The Appellant was the principal owner of Turn-Air Ltd. (“Turn- Air”);

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