Robert Marcotte v. Minister of National Revenue, [1986] 1 CTC 2566, 86 DTC 1430 -- text

Couture, C.J.T.C.C. [TRANSLATION]:—The appellant is appealing an assessment issued by the Minister of National Revenue on June 18, 1984 for the 1983 taxation year. He acted for himself and the evidence he adduced in Court revealed the following facts.

Cip Inc. v. Minister of National Revenue, [1986] 1 CTC 2525, 86 DTC 1373 -- text

Bonner, T.C.J. [Orally]:—The appellant C.I.P. Inc. appeals from assessments of income tax for the 1979 and 1980 taxation years of its predecessor company, Pacific Forest Products Limited. The assessments were made on the basis that outlays of $28,963 in 1979

Eleanor B. Kushnir, Audrey N. Maclean, Peter L. Hartman, Ben Bauer v. Minister of National Revenue, [1986] 1 CTC 2514, 86 DTC 1381 -- text

Christie, A.C.J.T.C.:—These appeals were heard on common evidence. The issue in each case is whether, in computing his or her taxable income for the year or years under review, the appellant is entitled to deduct amounts expended for the care and

Ernest Koteles, Patricia J. Koteles v. Minister of National Revenue, [1986] 1 CTC 2511, 86 DTC 1378 -- text

Couture, C.J.T.C.:—These appeals were heard together on common evidence. They involved the appellants’ 1981 taxation year and the deductibility of farm losses incurred during the said taxation year from their respective employment income.

Patrick W. Riddell, Sparkle Car Wash Ltd. v. Minister of National Revenue, [1986] 1 CTC 2500, 86 DTC 1374 -- text

Goetz, T.C.J.:— These are appeals by the above-named appellants ("Sparkle” or “the Company” and "Riddell" or "the appellant") relating to reassessments for their 1977, 1978, 1979 and 1980 taxation years. The appellant Sparkle sought to deduct from income certain

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