Michel Lariviére v. Her Majesty the Queen, 86 DTC 6549, [1986] 1 CTC 206, [1987] 1 CTC 50 -- text

Pinard, J. [Translation]:—This appeal is pursuant to subsection 172(2) of the Income Tax Act, S.C. 1970-71-72, c. 63, as amended and is brought by the taxpayer Michel Larivière against a notice of reassessment by the Minister of

Brussels Steel Corp. v. The Queen, 86 DTC 6077, [1986] 1 CTC 180 (FCTD) -- text

Joyal, J.:—On September 28, 1976, in Montreal, a settlement out of court was negotiated between the plaintiff herein and a Crown-owned Newfoundland Company called Newfoundland Steel Corporation (NESCO). The settlement was for damages for breach of contract. The

Danzas (Canada) Ltée and Danzas S.A. v. Her Majesty the Queen in Right of Canada, [1986] 1 CTC 174 -- text

Denault, J. [TRANSLATION]:—The plaintiff Danzas S.A., with its head office located in Switzerland, and its Canadian subsidiary are companies specializing in the carriage of air freight, and they are claiming from the defendant damages amounting to U.S. $656,952.70,

Societe d'Ingenierie Cartier Limitee v. The Queen, 86 DTC 6025, [1986] 1 CTC 166 (FCTD) -- text

Dubé, J.:—The issue to be resolved in this matter is whether the amount of $560,650 paid to the plaintiff by the United States Fire Insurance Company (“U.S. Fire’) on June 9, 1980 constituted income of the plaintiff, as assessed by the Minister

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