Community Shopping Developments Ltd. v. The Queen, 83 DTC 5071, [1983] CTC 60 (FCTD) -- text

Mahoney, J:—The plaintiff acquired a block of 59.3 acres of land on the southerly extremity of the City of Edmonton on November 27, 1961, at a price of $4,000 per acre. Certain of the land was expropriated after acquisition. On February 1,

Nova Construction Co. Ltd. v. The Queen, 83 DTC 5105, [1983] CTC 58 (FCTD) -- text

Mahoney, J:—The first issue is whether a “portable” asphalt plant, acquired by the plaintiff in its 1974 taxation year and first used in its 1975 taxation year, generated “Canadian manufacturing and processing profits” for purposes of subsection 125.1(1) of

Her Majesty the Queen v. Barbara D Sills (Formerly Barbara D La Brash), [1983] CTC 48, 83 DTC 5070 -- text

Jerome, ACJ:—This is an action by way of appeal from a decision of the Tax Review Board, made at Edmonton, Alberta, on May 29, 1980. I heard evidence and submissions of counsel at Edmonton on May 28, 1982 and held the matter under

Imperial General Properties Limited v. Her Majesty the Queen, [1983] CTC 42, 83 DTC 5059 -- text

Dubé, J:—The main issue to be resolved here is whether the sale of the plaintiff's property to one Jack Mendlewitz took place on October 29, 1968 as alleged by the plaintiff, or on September 10, 1970 as assumed by the Minister, and therefore

Her Majesty the Queen v. Imperial General Properties Limited (Formerly Speedway Realty Corporation Limited), [1983] CTC 27, 83 DTC 5055 -- text

Le Dain, J:—This is an appeal from a judgment of the Trial Division allowing an appeal from a decision of the Tax Review Board with respect to a reassessment for the 1962, 1963, 1966 and 1967 taxation years.

Pages

Subscribe to Tax Interpretations RSS