Apl Oil & Gas Ltd. v. Her Majesty the Queen, [1996] 3 CTC 2001 -- text
Margeson J.T.C.C.: — The Appellant filed an appeal from the reassessment dated August 14, 1991, number 3532072, with respect to its taxation year ending January 2, 1987.
Margeson J.T.C.C.: — The Appellant filed an appeal from the reassessment dated August 14, 1991, number 3532072, with respect to its taxation year ending January 2, 1987.
Hugessen J.A. (orally): — Mr. Werry, you must realize that we can only intervene in the decision of the Tax Court of Canada if you show us that the judge committed some error of law or made findings of fact for which there
Rouleau J.: — On June 6, 1996, two motions as well as a cross-motion were before the Court. The Defendant sought an Order striking out the Plaintiff’s Amended Statement of Claim without leave to amend; the Plaintiff sought an Order dismissing
Rouleau J.: — This Applicant came before the Court on August 27, 1996, seeking an extension of time to file its motion record. It was suggested in the affidavit material in support of the application for extension of time that an
Stone J.A.: - This is an appeal from a judgment of the Tax Court of Canada of September 29, 1995, dismissing an appeal from an assessment of the Appellant’s income for the taxation years 1987 and 1988.
Pinard J.: — This is an appeal by way of action against a judgment of the Tax Review Board (the “Board”) dated February 8, 1982, 82 D.T.C. 1128 (T.R.B.), which allowed the defendant’s appeal against reassessments for income tax dated April
John A. Hargrave Prothonotary: —
Cullen J.: — This is an appeal of a reassessment of the plaintiff’s 1978 taxation year. The plaintiff requests that the reassessment for 1978 for federal and provincial tax purposes concerning interest capitalized and interest converted to exploration,
Robertson J.A.: — This is an appeal from a decision of the Tax Court of Canada dated December 31, 1993 which dismissed the appellant taxpayer’s appeal from a reassessment of income tax for the 1986 taxation year. Therein Bowman J.T.C.C. held that
Stone J.A.: — This is an appeal from a judgment of the Tax Court of Canada of July 4, 1996. A companion appeal is also before us in Court File No. A-434-95. The decisions of the Tax Court of Canada, containing an Agreed Statement