Anctil v. R., [1998] 3 CTC 2173, 97 DTC 1462 -- text
Archambault T.C.J.:
Archambault T.C.J.:
Christie A.C.J.T.C.:
Christie A.C.J.T.C.:
This appeal is governed by the Informal Procedure provided for under section 18 and following sections of the Tax Court of Canada Act. The year under review is 1994.
Bowman T . C.J.:
The appellant’s motion and the respondent’s motion were heard consecutively. The appellant seeks the following relief:
Bowman T.C.J.:
This motion is brought by the appellant for an order
(a) allowing the appeal; or
Sarchuk T.C.J.:
Mogan T.C.J.:
McArthur T.C.J.:
Lamarre Proulx T . C.J.:
The Appellant is appealing, by way of the Informal Procedure, the assessment of the Minister of National Revenue (the “Minister”) for the year 1991.
Dussault T.C.J.:
These are appeals from assessments for the appellant’s 1988, 1989, 1990 and 1991 taxation years. The income reported by the appellant for each of those years respectively was $16,294, $20,943, $20,960 and $25,792.