The Late Nick G Penner v. Minister of National Revenue, [1984] CTC 2502, 84 DTC 1444 -- text
Tremblay, TCJ:—This case was heard on December 7, 1983, at the city of Winnipeg, Manitoba.
Tremblay, TCJ:—This case was heard on December 7, 1983, at the city of Winnipeg, Manitoba.
Tremblay, TCJ [TRANSLATION]:—These cases were heard on common evidence in the city of Montréal, Québec on January 12, 1983. The Court was in addition informed that the final result of these cases would be used for a final settlement of forty other
Rip, TCJ:—The appellant appeals from assessments for the 1977 and 1978 taxation years. The appeal was heard on common evidence with the appeals of Salvatore DeAngelis, Luigi Guglietti, Michael Natale and Nicola Tersigni. For the reasons given in the appeal of Michael Natale v MNR, the appeal of Mr Domenici is allowed.
Appeal allowed.
Rip, TCJ:—The appellant appeals from assessments for the 1977 and 1978 taxation years. The appeal was heard on common evidence with the appeals of Joseph Domenici, Luigi Guglietti, Michael Natale and Nicola Tersigni. For the reasons given in the appeal of Michael Natale v MNR, the appeal of Mr DeAngelis is allowed.
Appeal allowed.
Rip, TCJ:—The appellant appeals from assessments for the 1977, 1978 and 1979 taxation years. The appeal was heard on common evidence with the appeals of Salvatore DeAngelis, Joseph Domenici, Michael Natale and Nicola Ter- signi. For the reasons given in the appeal of Michael Natale v MNR, the appeal of Mr Guglietti is allowed.
Appeal allowed.
Rip, TCJ:—The appellant appeals from assessments for the 1977 and 1978 taxation years. The appeal was heard on common evidence with the appeals of Salvatore DeAngelis, Joseph Domenici, Michael Natale and Luigi Guglietti. For the reasons given in the appeal of Michael Natale v MNR, the appeal of Mr Tersigni is allowed.
Appeal allowed.
Rip, TCJ:—This is an appeal from income tax assessments in respect of 1977 and 1978 wherein the respondent assessed the appellant’s tax on the basis that a gain from disposition of real estate was on income account. This appeal was heard on
Goetz, TCJ [ORALLY]:—At the conclusion of the appellant’s case the respondent made a motion for dismissal of the appeal on the following grounds:
Goetz, TCJ:—The appellant in filing her 1980 income tax return sought to deduct the amount of $62.51 received from her employer, the St James- Assiniboia, School Division No. 2, (hereinafter referred to as “the School Division”) as a payment on account of interest.
Tremblay, TCJ:—This case was heard on June 9, 1983 at the city of London, Ontario.