Her Majesty the Queen v. Elizabeth Joan Savage, [1980] CTC 103, 80 DTC 6066 -- text

Grant, DJ:—This is an appeal by the Crown from a decision of the Tax Review Board dated April 5, 1979, whereby the Board allowed the defendant’s appeal from a reassessment of her 1976 income tax return made by the Minister of National Revenue

Royal Craft Products Ltd. v. The Queen, 80 DTC 6143, [1980] CTC 97 (Alta. C.A.) -- text

Clement, J:—This appeal arises out of an authorization of seizure given in February 1975 under subsection 231(4) of the Income Tax Act, as amended by SC 1970-71-72, c 63, resulting inaveryextensiveseizureof documents of the appellants. The

Associates Corporation of North America v. Her Majesty the Queen, [1980] CTC 80, 80 DTC 6049 -- text

Mahoney, J:—The issue is whether payments, received by the plaintiff, which are deemed by paragraph 214(15)(a) of the Income Tax Act SC 1970-71-72, c 63 as amended by SC 1974-75-76, c 26, subsection 119(2) to be a payment

Pages

Subscribe to Tax Interpretations RSS