Boosey and Hawkes (Canada) LTD v. Minister of National Revenue, [1984] CTC 2871, 84 DTC 1728 -- text

Sarchuk, TCJ:—This is an appeal by Boosey and Hawkes (Canada) Limited with regard to an assessment made upon it by the Minister of National Revenue for the taxation year 1978. The controversy in this case arises with respect to royalties of

Andrew Hawrish v. Minister of National Revenue, [1984] CTC 2868, 84 DTC 1752 -- text

Taylor, TCJ:—This is an appeal heard in Saskatoon, Saskatchewan on August 2, 1984 against income tax assessments for the years 1972, 1973, 1974 and 1975 in which the Minister of National Revenue had assessed on income account rather than capital account

Esther Wertheimer v. Minister of National Revenue, [1984] CTC 2852, 85 DTC 128 -- text

Cardin, TCJ:—The appeal of Esther Wertheimer is from assessments of income tax by which the Minister of National Revenue added to her 1977 and 1978 income amounts of $3,553.85 and $5,153.96 respectively as unreported income. The Minister, under subsection 163(2) of the

Transport Direct Systems Limitée (Formerly Called Direct Motor Express (Quebec) Limited), Direct Winters Transport Limited v. Minister of National Revenue, [1984] CTC 2845, 84 DTC 1773 -- text

Sarchuk, TC J:—The appeals were heard on common evidence by consent of all parties.

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