The Queen v. Canada Southern Railway Co., 86 DTC 6097, [1986] 1 CTC 284 (FCA) -- text

Ryan, J.:—This is an appeal by the Crown from a judgment of the Trial Division allowing an appeal by the respondent, The Canada Southern Railway Company (“Canada Southern”) from assessments made by the Minister of National Revenue (“the Minister”) under

Regina Shoppers Mall Ltd. v. The Queen, 86 DTC 6091, [1986] 1 CTC 261 (FCTD), aff'd 89 DTC 5482 (FCA) -- text

Pinard, J.:—This is an appeal from a decision of the Tax Court of Canada ([1984] C.T.C. 2091; 84 D.T.C. 1081) dated January 12, 1984, dismissing plaintiffs appeal from income tax assessments for its 1976,1977 and 1978 taxation years.

Bowater Mersey Paper Co. Ltd. v. The Queen, 86 DTC 6293, [1986] 1 CTC 535 (FCTD), rev'd 87 DTC 5382, [1987] 2 CTC 159 (FCA) -- text

Martin, J.:—This matter came on for hearing at Halifax, Nova Scotia on the 11th day of February 1986. The defendant applies for an order pursuant to Rule 341 of the Federal Court Rules dismissing the plaintiff’s appeal from notices of reassessment

Indalex Ltd. v. The Queen, 86 DTC 6039, [1986] 1 CTC 219 (FCTD), aff'd 88 DTC 6053, [1988] 1 CTC 60 (FCA) -- text

Reed, J.:—The dispute in this case is one concerning the amount of income tax payable by the plaintiff. It arises out of dealings between the plaintiff and Pillar International Services Limited, a Bermuda corporation. It relates to what is called

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