O’brien, Re, [1999] 1 CTC 72 -- text

Barclay J.:

The taxpayers, Horst Franz Jaeckel and Hildegard Jaeckel (the "Jaeck- els”) apply for a review of the jeopardy order obtained by the Minister of National Revenue (the “Minister”) on November 20, 1997. The Minister obtained the order pursuant to s. 225.2(2) of the Income Tax Act, R.S.C. 1985, c. 1 (5th Supp.) as am. (the “Act”). The order was issued by Matheson J. and provides in part as follows:

Baxter v. R, [1999] 1 CTC 57, 98 DTC 6668 -- text

Isaac C.J.:

We are all of the view that the learned Tax Court Judge did not deny procedural fairness to the appellant or in any other way make any error that would warrant the intervention of this Court. We will therefore dismiss the application for judicial review and affirm the judgment of the Tax Court of Canada.

Appeal dismissed.

Hamer v. R., [1999] 1 CTC 45, 98 DTC 6422 -- text

Marceau J.A.:

These two applications for judicial review were set down for hearing at the same time since they raised the same question with respect to the application of certain provisions of the Income Tax Act and involved the same counsel. The applications challenged two identical decisions of the Tax Court of Canada which had again upheld the Minister of National Reve

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