Robert T. Ball v. Her Majesty the Queen, [1996] 3 CTC 2178 (Informal Procedure) -- text
Beaubier J.T.C.C.: — This matter was heard at London, Ontario on May 24, 1996 pursuant to the Informal Procedure. The Appellant was the only witness.
Beaubier J.T.C.C.: — This matter was heard at London, Ontario on May 24, 1996 pursuant to the Informal Procedure. The Appellant was the only witness.
McArthur J.T.C.C.: — This appeal was heard in Toronto, Ontario, on April 26, 1996, under the Informal Procedures of this Court.
O’Connor J.T.C.C.: — This appeal was heard in Toronto, Ontario on February 29, 1996 pursuant to the Informal Procedure of this Court.
The Appellant represented herself, gave testimony and filed several exhibits.
Archambault J.T.C.C.: — These are appeals by Synchrosat Limited (Synchrosat) from income tax assessments by the Minister of National Revenue (Minister) for the 1991 and 1992 taxation years.
Sobier J.T.C.C.: — The Appellant appeals from the assessment of the Minister of National Revenue (the “Minister”) for its taxation year ended June 30, 1991, whereby the Minister disallowed a deduction in respect of holdbacks and billings invoiced to
Sobier J.T.C.C.: — The Appellant appeals from the assessment of the Minister of National Revenue (the “Minister”) under section 160 of the Income Tax Act (the “Act”) for transfers made to her by her spouse, Gerald P. Sinnott,
Bowman J.T.C.C.: - These appeals are from reassessments for the appellant’s 1985, 1986, 1987 and 1988 taxation years. By those assessments the Minister of National Revenue included in Mr. Sideris’ income the following amounts:
Teskey J.T.C.C.: — The appellant appeals his assessments of income tax for the years 1992 and 1993 and elected to have them heard pursuant to the informal procedure.
Bowie J.T.C.C.: — These two Appellants are husband and wife. Their appeals are from the disallowance by the Minister of their claims for restricted farm losses under section 31 of the Income Tax Act. The two appeals
Christie J.T.C.C.: — This appeal is governed by the General Procedure prescribed by section 18 and following sections of the Tax Court of Canada Act.