The Queen v. Marsh & McLennan, Ltd., 83 DTC 5180, [1983] CTC 231 (FCA) -- text

Clement, D J:—At issue in this appeal is whether interest income received by Marsh & McLennan Ltd (the broker) from short-term investments in its 1976 taxation year was “Canadian investment income” within the definitions of paragraph 129(4)(a) of the

Her Majesty the Queen v. Jager Holdings (Calgary) LTD and Jager Homes LTD, [1983] CTC 225, 83 DTC 5256 -- text

Jerome, ACJ:—These actions brought by way of appeals from decisions of the Tax Review Board came on for trial at Calgary, Alberta, on September 21, 1982. The proceedings before the Tax Review Board were conducted in Calgary on February 25, 1980.

Stirling v. The Queen, 83 DTC 5252, [1983] CTC 220 (FCTD), rev'd 85 DTC 5199, [1985] 1 CTC 275 (FCA) -- text

Rouleau, J:—The plaintiff, during the years 1971 through 1975, acquired gold bullion and disposed of it in the years 1972 and 1975. The capital gain was declared, less carrying charges related to the financing of the acquisition as well as safekeeping

McDonald v. The Queen, 83 DTC 5264, [1983] CTC 211 (FCTD), aff'd 87 DTC 5276 (FCA) -- text

Dubé, J:—This issue to be resolved here is whether the gains made by the plaintiff from four separate land transactions constitute capital gain as alleged by him, or income as assessed by the defendant. The four parcels of land were separately

Syroco Canada, a Division of Dart Products National Limited v. Minister of Revenue, [1983] CTC 200 -- text

Boland, J:—This is an appeal pursuant to subsection 20(1) of The Retail Sales Tax Act, RRO 1970, chapter 415, to vary an assessment of retail sales tax confirmed by the Minister of Revenue. The facts are agreed upon. The appellant

Farmer Construction Ltd. v. The Queen, 83 DTC 5215, [1983] CTC 198 (FCTD) -- text

Jerome, ACJ:—When this matter came on for trial at Victoria, BC, on March 9, 1983, two preliminary motions were raised on behalf of the plaintiff, the first seeking a determination that because of the failure of the Crown to plead specific assumptions made by

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