Skidmore v. R., [1998] 1 CTC 2619, 98 DTC 1135 -- text
Sarchuk T.C.J.:
Sarchuk T.C.J.:
O’Connor T.C.J.:
McArthur T.C.J.:
Judge Mogan of this Court heard the evidence of the case under appeal and put the following on record:
Hamlyn T.C.J.:
Margeson T.C.J.:
Both Appellants appealed to this Court from an assessment made by the Minister of National Revenue, (the Minister), notices of which were dated July 7, 1995, for the 1992 taxation year.
Bell T.C.J.:
All statutory references, unless otherwise specified, relate to the Income Tax Act (“Act”).
The issues are:
1 Whether two dividends, namely,
Garon T.C.J.:
Lamarre Proulx T . C.J.:
These are appeals made by way of the informal procedure concerning the 1992 and 1993 taxation years.
Teskey T.C.J.:
Now, in the Brisson matter, I have talked to the office in Ottawa and been advised that a registered envelope did arrive — no, let’s start over.
Teskey T.C.J.: