Sears Canada Inc. v. The Queen, 86 DTC 6304, [1986] 2 CTC 80 (FCTD), aff'd 89 DTC 5039 (FCA) -- text

McNair, J.:—This is an appeal by the plaintiff from the Minister's reassessments with respect to the 1976, 1977 and 1978 taxation years whereby portions of reserves claimed by the plaintiff were disallowed and added back into income. Three statements of

In the Matter of the Proposal of Wosk’s Ltd., Under the Bankruptcy Act., [1986] 2 CTC 78 -- text

Cumming, J. [Orally]:—The appellant, the Attorney General of Canada, on behalf of Her Majesty The Queen in right of Canada, appeals pursuant to Bankruptcy Rule 108 and section 106 of the Bankruptcy Act from the disallowance on May 7,

Arctic Offshore Ltd. v. Her Majesty the Queen as Represented by the Minister of National Revenue,, [1986] 2 CTC 75 -- text

Pinard, J.:—This is a motion dated the 8th day of May, 1986 on behalf of the plaintiff for “an Order pursuant to sections 18 and 44 of the Federal Court Act, quashing the seizure of the ship ‘Orion Expeditor" and returning

J. S. Redpath Ltd. v. The Deputy Minister of National Revenue for Customs and Exciseand Lac Minerals Ltd., Intervenant., [1986] 2 CTC 44, 86 DTC 6213 -- text

Stone, J.:—We do not need to hear you Mr. Bowie. Although it is conceded and we agree that the Board erred in declining to exercise its jurisdiction, we are all of the view that this appeal on the merits must fail.

Pages

Subscribe to Tax Interpretations RSS