Canadian Imperial Bank of Commerce v. Her Majesty the Queen, [1980] CTC 67, 80 DTC 6018 -- text

Addy, J:—This case was heard by me immediately following that of the Bank of Nova Scotia and involved the same legal issues. The only factual differences were the following:

1. The taxation involved the fiscal year of the plaintiff ending the 31st of October, 1974.

2. The weighted average rate of translation was 2.30894 Canadian dollars to the pound sterling and the amount of United Kingdom tax paid was £1,411,890.48.

Bank of Nova Scotia v. The Queen, [1980] CTC 57, 80 DTC 6009 (FCTD), aff'd 81 DTC 5115, [1981] CTC 162 (FCA) -- text

Addy, J:—The plaintiff taxpayer appeals against a reassessment by the Minister of its income tax return for the 1972 taxation year. The appeal relates to a tax credit claimed by the taxpayer pursuant to paragraph 126(2)(a) of the Income

Mount Robson Motor Inn Limited v. Her Majesty the Queen, [1980] CTC 31, 79 DTC 5479 -- text

The Associate Chief Justice:—The issue in this appeal is whether the plaintiff’s rights in buildings and improvements (paving) on certain leased land were properly classified by the Minister as a leasehold interest falling within class 13 of the

Roywood Investments Ltd. v. The Queen, 79 DTC 5451, [1980] CTC 19 (FCTD), aff'd 81 DTC 5148, [1981] CTC 206 (FCA) -- text

Grant, DJ:—1. This is an appeal by the plaintiff in respect of the reassessments of its income tax for the years 1970 and 1971 made by the Minister of National Revenue on January 15, 1976 and on January 28, 1976, respectively.

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