Latter Investments Limited v. Minister of National Revenue, [1982] CTC 2076, 82 DTC 1086 -- text

M J Bonner:—The appellant Latter appeals from assessments of income tax for the 1977 and 1978 taxation years. The appellant Kimel appeals from an assessment for its 1978 taxation year only. At all relevant times the two appellants carried on

Kenneth W Ridley v. Minister of National Revenue, [1982] CTC 2074, 82 DTC 1089 -- text

D E Taylor:—This is in connection with an appeal heard in Vancouver, British Columbia, on October 19, 1981, with respect to an income tax assessment for the year 1979 in which the Minister of National Revenue provided the following explanation:

Walter E Hopkins v. Minister of National Revenue, [1982] CTC 2069, 82 DTC 1084 -- text

John B Goetz:—This is an appeal by the appellant with respect to his 1977 and 1978 taxation years arising from the expropriation of property owned by the appellant in 1977 by the Province of Nova Scotia. The appellant was paid $52,500 by

G Quentin Lake v. Minister of National Revenue, [1982] CTC 2050, 82 DTC 1080 -- text

D E Taylor:—These are appeals heard in Vancouver, British Columbia, on October 19, 1981, against income tax assessments for the years 1977 and 1978 in which the Minister of National Revenue had disallowed a claim deduction for alimony in the

Arthur H Channer v. Minister of National Revenue, [1982] CTC 2047, 82 DTC 1068 -- text

MJ Bonner:—The appellant appeals from assessments of income tax for the 1976 and 1977 taxation years, which assessments were made on the basis that amounts received by the appellant from Louis Allore in those years formed part of his income for

William J Stocker v. Minister of National Revenue, [1982] CTC 2045, 82 DTC 1078 -- text

Assistant Chairman:—This is an appeal by Mr Stocker from an assessment of his income tax for the 1978 and 1979 taxation years. Mr Stocker listed his home with a real estate agent, Century 21 Matika Real Estate Limited, and in the listing

Nomad Sand & Gravel LTD v. Minister of National Revenue, [1982] CTC 2035, 82 DTC 1070 -- text

The Chairman:—The appeal of Nomad Sand & Gravel Ltd is from assessments with respect to the 1974, 1975, 1976 and 1977 taxation years. There was however no tax payable on the appellant’s 1974, 1975 and 1977 income and therefore no assessment of

Robert C Ivey v. Minister of National Revenue, [1982] CTC 2034, 82 DTC 1082 -- text

M J Bonner:—The appellant appeals from assessments of income tax for the 1976 and 1977 taxation years. On assessment the Minister disallowed deductions in respect of legal costs incurred by the appellant in each year in the course of successfully

Pages

Subscribe to Tax Interpretations RSS