Greater Sarnia Investment Corporation v. Minister of National Revenue, [1987] 1 CTC 2158, 87 DTC 110 -- text

Couture, C.J.T.C. [Orally]:—This is an appeal against assessments issued by the respondent pursuant to which taxes in the amount of $92,691.36 plus interest of $799.61 were levied for the taxation year, 1979, and taxes in the amount of $143,583.28 plus

John Thomas Ballard v. Minister of National Revenue, [1987] 1 CTC 2154, 87 DTC 157 -- text

Bonner, T.C.J.:—This is an appeal from an assessment of income tax for the appellant’s 1983 taxation year. The issue is whether an amount received by the appellant from his former employer pursuant to a judgment of the Supreme Court of British

Maurice Desjardins Compagnie Ltée v. Minister of National Revenue, [1987] 1 CTC 2147, 87 DTC 83 -- text

Tremblay, T.C.J. [Translation]:—This appeal was heard at Montréal, on January 30, 1986. The matter was taken under advisement on May 21, 1986 after the last written submission of counsel had been filed.

Fred H. Brown v. Minister of National Revenue, [1987] 1 CTC 2133, 87 DTC 67 -- text

Christie, A.C.J.T.C.:—This appeal pertains to the appellant’s 1980 taxation year. The issue is whether the gain on the sale of an undivided one-eighth interest which he had in a 33-acre parcel of land in the southwest portion of the city of Prince

Dr. David Kubryk v. Minister of National Revenue, [1987] 1 CTC 2125, 87 DTC 75 -- text

Gowtz, T.C.J. [Orally]:—This is an appeal by the appellant with respect to his 1984 taxation year whereby in that year he sought to deduct the sum of $8,824 for moving expenses which he had carried forward from his 1983 taxation year in which

Henry G. Pelletier v. Minister of National Revenue, [1987] 1 CTC 2123 -- text

Brulé, T.C.J.:—These are appeals involving the taxpayer’s 1980, 1981 and 1982 taxation years in which the Minister disallowed as deductions from income certain amounts, indicating that they were not losses from a business within the meaning of subsection 9(2)

Anthes Equipment Limited v. Minister of National Revenue, [1987] 1 CTC 2117, 87 DTC 59 -- text

Christie, A.C.J.T.C.:—It is the position of the respondent that in respect of the appellant's 1979 taxation year $134,022 shall be added to its reported income as an “income gain on sale of rental equipment" and that $31,942 shall be deducted from

Joseph L. Check, London Properties Ltd. v. Minister of National Revenue, [1987] 1 CTC 2114, 87 DTC 73 -- text

Bonner, T.C.J.:—The individual appellant, Joseph L. Check, appeals from assessments of income tax for the 1975 to 1978 taxation years. London Properties Ltd. (hereinafter called "London") appeals from notices of reassessment dated August 16, 1982, for the 1977 and

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