The Queen v. British Columbia Forest Products Ltd., 85 DTC 5577, [1986] 1CTC 1 (FCA) -- text

Mahoney, J. (Marceau, J. concurring):—This is an appeal from the Trial Division. The issue is whether the amount of a tax credit claimed by the respondent in respect of tax payable for its taxation year ended December 31, 1975, was

Minister of Justice and Attorney General of Canada, Minister of Foreign Affairs, Director of the Canadian Security Intelligence Service and Commissioner of the Royal Canadian Mounted Police v. Omar Ahmed Khadr -- text

Edwards Fine Foods Ltd. v. Minister of National Revenue, [1986] 2 CTC 2447, 86 DTC 1815 -- text

Christie, A.C.J.T.C.: —B notices of reassessment dated October 15, 1984, the respondent informed the appellant that its income tax liability respecting its 1980 and 1981 taxation years had been reassessed on the basis that it was not entitled to make

Erwin Greisinger v. Minister of National Revenue, [1986] 2 CTC 2441, 86 DTC 1802 -- text

Brulé, T.C.J.:—This is an appeal from a reassessment dated December 8, 1983, whereby the appellant was assessed for additional tax in the 1982 taxation year. The Minister added to the appellant's declared taxable income the amount of $60,000 which was a debt

Humphreys Jones Realty Limited and Browview Realty Limited v. Minister of National Revenue, [1986] 2 CTC 2429, 86 DTC 1807 -- text

Taylor, T.C.J.:—These are appeals heard on common evidence in Toronto, Ontario, on June 5, 6 and 16, 1986, in connection with a 1977 income tax assessment for Humphreys Jones Realty Limited ("Humphreys Jones’’) and 1978, 1979 and 1980 assessments for

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