Marcel Laperriére v. Minister of National Revenue, [1984] CTC 2829 -- text
Tremblay, TCJ [TRANSLATION]:—This case was heard in Montréal, Quebec on November 16 and 17, 1983.
Tremblay, TCJ [TRANSLATION]:—This case was heard in Montréal, Quebec on November 16 and 17, 1983.
Kempo, TCJ:—
Sarchuk, TCJ [ORALLY]:—The appeals of Henry and Mary Wiens in respect of taxation years 1976, 1977 and 1978 were heard on common evidence by consent of all parties.
Bonner, TCJ:—The appellant appeals from assessments of income tax for the 1977 and 1978 taxation years. During those years the appellant carried on two types of activity. He carried on the profitable business of a self-employed paper hanger and he
Goetz, TCJ:—This is an appeal with respect to the appellant’s 1975 taxation year. The issue is to determine whether there was a disposition, in 1975, of certain property owned by the appellant, Scottdale Developments Limited (“Scottdale”) (or John E. Shore)
Bonner, TCJ:—The appellant appeals from assessments of income tax for the 1979 to 1982 taxation years. Broadly stated, the issue is whether the appellant is entitled, by virtue of subparagraph 8(l)(e)(i) of the Income Tax Act, to deduct
Cardin, TCJ:—The appeals of Walter Koritni and Rita Doreen Koritni were heard on common evidence. The issue in both appeals is the deductibility of farm losses in the appellants* 1978 and 1979 taxation years.
Tremblay, TCJ:—These appeals were heard on common evidence on May 17, 1984, at Sudbury, Ontario.
Taylor, TCJ:—This is an appeal heard in Edmonton, Alberta on July 12, 1984 against income tax assessments for the years 1975 through 1979, in which the Minister of National Revenue taxed as on income rather than capital account the gains realized on sales of
Tremblay, TCJ:—This appeal was heard on April 10, 1984, in Montreal, Quebec.