Halifax Cablevision Limited, Dartmouth Cable Tv Limited v. Minister of National Revenue, [1983] CTC 2677, 83 DTC 630 -- text

Bonner, TCJ:—Halifax Cablevision Limited (hereinafter “Halifax”) appeals from assessments of income tax for the 1977 to 1980 taxation years. Dartmouth Cable TV Limited (hereinafter “Dartmouth”) appeals from assess- ments of income tax for the 1978 to 1980 taxation

Jabs Construction Ltd, Roblyn Holdings Ltd, Jabs Development LTD v. Minister of National Revenue, [1983] CTC 2668, 83 DTC 633 -- text

St-Onge, TCJ:—The appeals of these companies were heard on common evidence on June 22, 1983 in the City of Penticton, British Columbia and the issue is whether these companies were associated in the appellants’ 1975, 1976 and 1977 taxation years.

Polar Quick Freezing Co LTD v. Minister of National Revenue, [1983] CTC 2666, 83 DTC 637 -- text

Bonner, TCJ:—The appellant appeals from an assessment of income tax for its 1979 taxation year. The respondent, in assessing tax, disallowed as a deduction in the computation of income the sum of $42,355, described as a “lobster rebate accrual”. The

Frederick L Marshall v. Minister of National Revenue, [1983] CTC 2664, 83 DTC 592 -- text

M J Bonner [ORALLY]:—The appellant owned an orchard. It was a capital asset in his hands. He subdivided the land into residential building lots, had municipal sewer, water, roads and other services installed and sold the lots in the 1975 and

Milan Hrovat, M & H Doors LTD v. Minister of National Revenue, [1983] CTC 2662, 83 DTC 590 -- text

Taylor, TCJ:—These are applications for an extension of time within which to file notices of objection against income tax assessments for the years 1976 to 1980 inclusive in the case of Milan Hrovat, and for the years 1978 to 1980 in the case

Jacob H Penner v. Minister of National Revenue, [1983] CTC 2655, 83 DTC 585 -- text

Bonner, TCJ:—The appellant appeals from an assessment of income tax for his 1977 taxation year. At the outset there were two issues. The first was what was the V-Day value of thirty-seven shares of Metron Proving Services Ltd. During the hearing

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