Grant Wilson v. Her Majesty the Queen, [1996] 3 CTC 203, 96 DTC 6452 -- text

Simpson J.: — Grant Wilson (the “Taxpayer”) appeals a reassessment of his 1978 Income Tax Return on the basis that the Minister of National Revenue (“Revenue Canada”) failed to reassess with due dispatch following a notice of objection as required

H. Hoffman v. Her Majesty the Queen and Minister of National Revenue, [1996] 3 CTC 164, 98 DTC 6614 -- text

Hargrave P.: — These reasons arise out of the Defendants’ motion to strike out the Statement of Claim under Rule 419(l)(a), (c) and (f), that it discloses no reasonable cause of action, that it is scandalous, frivolous or vexatious, and that

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