Saskatchewan Co-Operative Credit Society Ltd. v. The Queen, 85 DTC 5599, [1986] 1 CTC 53 (FCA) -- text

Mahoney, J.:—In issue is the right claimed by the appellant to deduct from its taxable income otherwise calculated, for its taxation year ended December 31, 1978, an amount of $707,143. During the year, the appellant paid $1,414,286, being the par value

R. v. McKinlay Transport Ltd., 85 DTC 5537, [1986] 1 CTC 29 (Ont. Prov. Ct.), aff'd 87 DTC 5438, [1987] 2 CTC (S.C.O.) -- text

Langdon, Prov. Ct. J.:—The defendants are charged in one information, each with two separate counts under subsection 238(2) of the Income Tax Act. Counts 1 and 2 relate to McKinlay Transport Limited (hereinafter referred to as

The Queen in Right of Canada v. Government of Manitoba, 85 DTC 5588, [1986] 1 CTC 16 (FCTD) -- text

Joyal, J.:—This is a trial pursuant to Rule 475 of the Federal Court Rules on a case stated by the parties with respect to the imposition of an excise tax on certain transactions involving cost-sharing programs undertaken between the Federal Government

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