N M Tilley Realty LTD v. Minister of National Revenue, [1984] CTC 2386, 84 DTC 1343 -- text

Sarchuk, TCJ:—This is the appeal of N M Tilley Realty Ltd from income tax assessments in respect of its 1978 and 1979 taxation years. The appellant owned 33% per cent of the issued shares of Paramount Manufactured Homes Ltd (Paramount)

Miriam Rumack v. Minister of National Revenue, [1984] CTC 2382, 84 DTC 1339 -- text

Christie, CJTC [ORALLY]:—Windfalls are exempt from inclusion in computing income. In the world of Canadian taxation, the most famous windfalls of all are the proceeds of winning a prize under a lottery scheme. These prizes are not regarded as taxable

Beatty Investments Incorporated v. Minister of National Revenue, [1984] CTC 2368, 84 DTC 1306 -- text

Tremblay, TCJ:—This case was called for hearing in London, Ontario on May 30, 1983 and written arguments were subsequently filed. The last submission was received by the Court on June 24, 1983, and the case was then taken under advisement.

Ronda Holdings Limited, Checker Industrial Rubber & Tire Limited, Cartier Parking Limited v. Minister of National Revenue, [1984] CTC 2357, 84 DTC 1331 -- text

Tremblay, TCJ:—These cases were heard on common evidence on June 6, 1983 in London, Ontario.

Amos Barzilay v. Minister of National Revenue, [1984] CTC 2353, 84 DTC 1290 -- text

Christie, CJTC:—This appeal pertains to the appellant’s 1977 taxation year. There are two issues. First, whether the appellant was entitled to deduct $4,620 from his total income as a bad debt, and, second, whether during the relevant period Whitby Dominion Hardware

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