Mario Gagnon, Monique Lapierre-Gauthier v. Minister of National Revenue, [1985] 2 CTC 2153, 85 DTC 493 -- text

Cardin, TCJ [TRANSLATION]:—The appeals of Monique-Lapierre-Gauth- ier and Mario Gagnon were heard on common evidence. The appeals are from assessments for the 1978, 1979 and 1980 taxation years. At issue is the deductibility of restricted farm losses provided for

Kenneth J Byron v. Minister of National Revenue, [1985] 2 CTC 2139, 85 DTC 459 -- text

Sarchuk, TCJ:—Kenneth J Byron ("Byron”) appeals from income tax assessments for his 1977, 1978 and 1979 taxation years. In those years he sought to deduct certain losses incurred from farming in the amounts of $27,711,02, $18,478.37 and $16,960.14 respectively.

Tri-County Cattle Company LTD v. Minister of National Revenue, [1985] 2 CTC 2129, 85 DTC 476 -- text

Goetz, TCJ:—The appellant, a livestock dealer, claims an inventory allowance pursuant to paragraph 20(1 )(gg) of the Income Tax Act, SC 1970-71-72, c 63, as amended. The appellant purchases cattle from producers in Western Canada for a

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