Nachum Mizné, Laurent Mizné, Bertha Mizné, Maissoneuve Realties v. Minister of National Revenue, [1980] CTC 2665, 80 DTC 1559 -- text

Guy Tremblay [TRANSLATION]:—These cases were heard on common evidence at Montreal, Quebec on November 17, 1977 and November 10, 1978. They were taken under advisement on January 20, 1979 after pleadings had been filed.

Charles G Holmes v. Minister of National Revenue, [1980] CTC 2664, 80 DTC 1554 -- text

John B Goetz:—This is an appeal heard at the sittings of the Board in Penticton, British Columbia on June 3, 1980, whereby the appellant has appealed against reassessments for the 1973, 1974, 1975 and 1976 taxation years. Specifically, the Minister of National Revenue gave the following explanation for the reassessments:

Gloria Lim v. Minister of National Revenue, [1980] CTC 2663, 80 DTC 1555 -- text

John B Goetz:—This is an appeal heard at a sittings of this Board in Penticton, British Columbia on June 3, 1980, in which the appellant appeals against her reassessments for the 1973, 1974, 1975 and 1976 taxation years. The Minister of National Revenue gave the following explanation for the reassessments:

K Mary C Collins v. Minister of National Revenue, [1980] CTC 2662, 80 DTC 1553 -- text

John B Goetz:—This is an appeal heard at a sittings of this Board in Penticton, British Columbia, on June 3, 1980, in which the appellant appeals against her reassessments for the 1973,1974,1975 and 1976 taxation years.

This appeal was heard on common evidence with the appeals of Thomas J Collins, Charles G Holmes and Gloria Lim.

Cornelius Visser v. Minister of National Revenue, [1980] CTC 2638, 80 DTC 1543 -- text

M J Bonner:—The appellant appeals from assessments of income tax for the 1975 and 1976 taxation years. During those years the appellant was employed as a union representative by the British Columbia Council of the Retail Wholesale & Department

Ferdinand R Fischer v. Minister of National Revenue, [1980] CTC 2638, 80 DTC 1546 -- text

M J Bonner:—When this appeal was called for hearing the agent for the Appellant and counsel for the Minister agreed that the outcome should be the same as in the appeals of Cornelius Visser (79-1169). They stated that the circumstances giving rise to this appeal were indistinguishable from the circumstances of the Visser appeals. This appeal will therefore be dismissed.

Appeal dismissed.

J T Keith Sheedy v. Minister of National Revenue, [1980] CTC 2638, 80 DTC 1545 -- text

M J Bonner:—When these appeals were called for hearing the agent for the Appellant and counsel for the Minister agreed that the outcome should be the same as in the appeals of Cornelius Visser (79-1169). They stated that the circumstances giving rise to this appeal were indistinguishable from the circumstances of the Visser appeals. This appeal will therefore be dismissed.

Appeal dismissed.

Donald L Gardner v. Minister of National Revenue, [1980] CTC 2637, 80 DTC 1546 -- text

M J Bonner:—When this appeal was called for hearing the agent for the Appellant and counsel for the Minister agreed that the outcome should be the same as in the appeals of Cornelius Visser (79-1169). They stated that the circumstances giving rise to this appeal were indistinguishable from the circumstances of the Visser appeals. This appeal will therefore be dismissed.

Appeal dismissed.

Jeno Horvath v. Minister of National Revenue, [1980] CTC 2636, 80 DTC 1540 -- text

John B Goetz:—The appellant appeals from an assessment for his 1976 taxation year. The assessment was made on the basis that the claimed deductions of $2,618.45 allegedly incurred by the appellant were considered by the Minister as being a deduction

Joseph W Courtwright v. Minister of National Revenue, [1980] CTC 2632, [1980] DTC 1609 -- text

The Chairman:—This is the appeal of Mr Joseph W Courtright from an assessment in respect of the 1975 taxation year elated December 24, 1976 by which the respondent assessed the appellant for taxes by reducing the appellant’s declared interest income by $930.63 by

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