931 Holdings Limited v. Minister of National Revenue, [1985] 2 CTC 2094, 85 DTC 388 -- text

Rip, TCJ:—The appellant appeals from a reassessment of income tax in respect of its 1974 taxation year in which the respondent increased its reported capital gain on the basis that the adjusted cost base of property sold in that year was not $614,487, as

Bertrand D’astous, Estate of the Late Pierre D’astous v. Minister of National Revenue, [1985] 2 CTC 2086, 85 DTC 440 -- text

Cardin, TCJ [TRANSLATION]:—By notice of assessment dated August 17, 1979, the Minister of National Revenue added to Bertrand D'Astous's income the sum of $43,000 for the 1976 taxation year, with respect to an unpaid shareholder loan according to subsection

Place Du Portage Inc v. Minister of National Revenue, [1985] 2 CTC 2077, 85 DTC 472 -- text

Goetz, TCJ:—This is an appeal by the appellant (Place du Portage Inc) ("Portage”) with respect to an income tax assessment concerning the appellant’s 1978 taxation year whereby the respondent added to the income of the appellant the sum of $300,000

John Silburn v. Minister of National Revenue, [1985] 2 CTC 2071, 85 DTC 463 -- text

Christie, ACJTC:—This appeal relates to the appellant’s 1980 taxation year. The issue is whether in computing his income for that year he is entitled to deduct $2,459.08, being expenses incurred by him on returning from Italy to Brockville, Ontario.

Atlas-Gest Inc, S a Healy Company, Greenfield Construction Company, Inc, as Atlas-Healy-Greenfield, a Joint Venture v. Minister of National Revenue, [1985] 2 CTC 2066, 85 DTC 430 -- text

Bonner, TCJ:—The appellants herein were at all relevant times members of a joint venture known as Atlas-Healy-Greenfield (hereinafter ““AHG’’). They appeal from assessments made in respect of the failure of AHG to withhold and remit Part XIII tax on payments

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