B B Fast & Sons Distributors LTD v. Her Majesty the Queen, [1984] CTC 626, 84 DTC 6554 -- text

Muldoon, J:—This action arises by way of appeal from a decision of the former Tax Review Board. The presiding member of that board, Guy Tremblay dismissed the taxpayer’s appeal, not on the bais of substantive conclusions on the law and the facts,

Thyssen Canada Ltd. v. The Queen, 84 DTC 6539, [1984] CTC 600 (FCTD), rev'd 87 DTC 5038, [1987] 1CTC 112 (FCA) -- text

Rouleau, J:—The issue is whether money paid as additional charges by the plaintiff to its parent corporation in Germany was interest paid on outstanding debts to specified non-residents within the meaning of subsections 18(4) and (5) of the Income Tax

The Queen v. Chrapko, 84 DTC 6544, [1984] CTC 594 (FCTD), rev'd 88 DTC 6487, [1988] 2 CTC 342 (FCA) -- text

The Associate Chief Justice:—In these actions, both the Crown and the taxpayer, Chrapko, appeal from decisions of the Tax Review Board concerning assessments for Chrapko’s 1977 taxation year, one related to a disputed classification of income, the

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