Dunn Holdings LTD v. Minister of National Revenue, [1985] 1 CTC 2348, 85 DTC 348 -- text

Sarchuk, TCJ:—This is an appeal from an assessment by the Minister of National Revenue of the appellant Dunn Holdings Ltd to income tax for its 1980 taxation year whereby the Minister reduced the reserve claimed by the appellant under subparagraph 20(l)(n)(ii) of the

Tillsonburg Glass & Mirror Limited v. Minister of National Revenue, [1985] 1 CTC 2345, 85 DTC 307 -- text

Christie, ACJTC:—This appeal is concerned with a claim by the appellant to entitlement to deduct farming losses in its 1980 taxation year in an amount in excess of $5,000. In reassessing, the respondent reduced the claimed deduction to $5,000 which is the maximum

Surinder K Tandon, Sudesh Tandon v. Minister of National Revenue, [1985] 1 CTC 2335, 85 DTC 332 -- text

Rip, TCJ:—The appeals of Surinder K Tandon and Sudesh Tandon were heard on common evidence. The appellants appeal against reassessments issued by the respondent on the assumption that an operating motivation for the purchase of a two-unit residential property

Yoshito Tanaka v. Minister of National Revenue, [1985] 1 CTC 2333, [1985] DTC 305 -- text

Sarchuk, TCJ:—This is an application made pursuant to the provisions of section 167 of the Income Tax Act for an order extending the time within which notices of objection might be served with respect to the taxpayer’s 1978 to 1981

John McCombe v. Minister of National Revenue, [1985] 1 CTC 2330, 85 DTC 268 -- text

Cardin, TCJ:—The appeal of John McCombe is from an assessment with respect to the 1981 taxation year. In his tax return, the appellant claimed a deduction in the amount of $5,200 as alimony payments made to his estranged wife. This amount was

Charles Roy v. Minister of National Revenue, [1985] 1 CTC 2328, 85 DTC 261 -- text

Cardin, TCJ:—In his 1979 and 1980 tax returns, Charles Roy claimed deductions of $1,468.65 and $1,599.12 respectively as “in-residence” office expenses which the Minister disallowed on the grounds that they had not been incurred for the purpose of gaining or

Eric Rode, Elizabeth Rode v. Minister of National Revenue, [1985] 1 CTC 2324, 85 DTC 272 -- text

Christie, ACJTC:—These appeals were heard together on common evidence with the consent of the parties and the approval of the Court. They relate to the appellants’ 1977, 1978 and 1979 taxation years. The issue is this: what was the acreage of the

Doug Smith Holdings LTD v. Minister of National Revenue, [1985] 1 CTC 2320, 85 DTC 265 -- text

Cardin, TCJ:—Doug Smith Holdings Ltd, incorporated on October 21, 1975 under the Business Corporations Act of Ontario, is appealing from an assessment of income tax by which the Minsiter of National Revenue disallowed the totality of

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