Kenneth H Wright v. Minister of National Revenue, [1982] CTC 2744, 82 DTC 1766 -- text

The Chairman:—The appeal of Kenneth Wright is from an assessment with respect to the 1979 taxation year. In his personal income tax return, the appellant reported income on the basis that he was in partnership with his wife in the operation of

E F Anthony Merchant v. Minister of National Revenue, [1982] CTC 2742, 82 DTC 1764 -- text

M J Bonner [ORALLY]:—The appellant appeals from assessments of income tax for the 1975 and 1977 taxation years. During those years the appellant practised law in the City of Regina and maintained an office in the Suite where the partnership of

Sanat Paul, Star of India Restaurant Inc v. Minister of National Revenue, [1982] CTC 2737, 82 DTC 1738 -- text

The Chairman:—By agreement, the appeals of Sanat Kumar Paul and those of Star of India Restaurant Inc were heard on common evidence. The Minister of National Revenue, as a result of a net worth assessment for the period of January 1, 1973 to

Lehndorff Realty Developments Limited v. Minister of National Revenue, [1982] CTC 2721, 82 DTC 1742 -- text

John B Goetz:—This is an appeal from an income tax assessment for the appellant’s 1974 taxation year. The appellant’s notice of appeal, inter alia, included the following statements of facts and of law:

O’neil Enterprises Limited, T J O’neil, Md v. Minister of National Revenue, [1982] CTC 2709, 82 DTC 1732 -- text

M J Bonner (orally):—I will give my reasons now in the O’Neil and the O’Neil Enterprises appeals. It may be in order at the outset to make one or two preliminary observations about the function of this Board. The function of this

Douglas B Cowx v. Minister of National Revenue, [1982] CTC 2708, 82 DTC 1737 -- text

Bonner, M J (Orally):—The appellant appeals from assessments of income tax for the 1977, 1978 and 1979 taxation years. On assessment, the Minister disallowed the appellant’s claims to restricted farm loss deductions. The sole question is, therefore, whether

Leopold Toulouse v. Minister of National Revenue, [1982] CTC 2703, 82 DTC 1710 -- text

The Chairman [TRANSLATION]:—The appeal of Mr Léopold Toulouse is from a reassessment dated August 7, 1980 which has the effect of adding to the appellant’s income, as business income for 1976, a profit in the amount of $71,786 from the sale of

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