Fernwood Construction of Canada LTD v. Minister of National Revenue, [1985] 1 CTC 2289, 85 DTC 257 -- text

Sarchuk, TCJ:—Fernwood Construction of Canada Ltd, a private company incorporated pursuant to the laws of the Province of Alberta, carries on the business of real estate construction, development and sale. In reporting its income for the 1979 taxation year the

Millford Development Limited (Formerly Nobledale Construction Limited) v. Minister of National Revenue, [1985] 1 CTC 2284, 85 DTC 248 -- text

Brulé, TCJ:—This is an appeal by Nobledale Construction Limited with respect to its taxation year wherein the company treated a discount of $73,769.61 on the sale of a mortgage as an income loss while the Minister of National Revenue claimed that

Gail Van Oldenbarneveld, Rudolf Van Oldenbarneveld v. Minister of National Revenue, [1985] 1 CTC 2282, 85 DTC 253 -- text

Taylor, TCJ:—These are appeals heard on common evidence, in Toronto, Ontario on February 20, 1985. The parts of the appeal of Gail van Oldenbarneveld for the years 1980 and 1981 were withdrawn and are to be dismissed. There was only one point

Hugh a McMaster v. Minister of National Revenue, [1985] 1 CTC 2279, 85 DTC 278 -- text

Rip, TCJ:—The appellant appeals against his 1978 income tax assessment on the basis that he did not receive a benefit when the corporation of which he was the sole shareholder satisfied a debt incurred by the appellant on his acquisition of shares

Sidney K Watson, Thelma Watson v. Minister of National Revenue, [1985] 1 CTC 2276, 85 DTC 270 -- text

Bonner, TCJ:—In June of 1970 the appellants jointly acquired a rectangular 25.12-acre parcel of land situated at Pickering, Ontario. The improvements on the land consisted of a modernized older home, a barn, horse shelter and tool shed. The buildings were

Norma Shaw, Jack a Shaw v. Minister of National Revenue, [1985] 1 CTC 2232, 85 DTC 154 -- text

Rip, TCJ:—These appeals of Jack A Shaw and his wife, Norma Shaw, from notices of reassessment for the 1979, 1980 and 1981 taxation years. The issue under appeal is whether in 1975 the appellants transferred to Jack Shaw Enterprises Ltd (“Enterprises”)

Brynmor G Cook v. Minister of National Revenue, [1985] 1 CTC 2229, 85 DTC 167 -- text

Bonner, TCJ:—The appellant appeals from assessments of income tax for the 1980 and 1981 taxation years. In making the assessments in issue the respondent disallowed the deduction of losses from automobile performance rally operations carried on by the appellant.

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