André Lalonde v. Minister of National Revenue, [1982] CTC 2358, 82 DTC 1341 -- text

The Chairman [TRANSLATION]:—The appeal of Mr André Lalonde is from reassessments by which the respondent disallowed deduction of the expenses claimed by the appellant as business expenses, amounting to $11,036.55, $13,457.96, $11,965.21 and $1,801.76 for the taxation

Ainsley T E Anderson v. Minister of National Revenue, [1982] CTC 2350, 82 DTC 1293 -- text

Guy Tremblay:—The appellant, who was the only witness, testified concerning the valuation of his property. He was not an appraiser and therefore his testimony could not be accepted as an expert witness. Moreover, even if he had been an expert witness,

Gerard Brunet v. Minister of National Revenue, [1982] CTC 2338, 82 DTC 1308 -- text

Guy Tremblay [TRANSLATION]:—The hearing of the evidence in this case at Montreal, Quebec began on September 18, 1979 and concluded on January 24 and 25, 1980. Following written pleadings, the case was taken under advisement on August 21, 1980.

Reich Hotels LTD v. Minister of National Revenue, [1982] CTC 2334, 82 DTC 1297 -- text

John B Goetz:—This is an appeal with respect to the appellant’s 1976, 1977 and 1978 taxatioin years. The appeal relates to the purchase and sale of various hotels by the appellant and the respondent maintains that the profits from the sales of these hotels

Carling Realty Company Limited, Jack Aaron and Company Limited v. Minister of National Revenue, [1982] CTC 2323, 82 DTC 1283 -- text

The Chairman:—The appeal of Carling Realty Company Limited (“Carling”) is from reassessments with respect to the 1974, 1975, 1976 and 1977 taxation years. The appeal of Jack Aaron and Company Limited (“Aaron Company”), a company associated with Carling Realty

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