Richards v. Canada, 2021 FC 231 -- text
Hamud v. Canada (Citizenship and Immigration), 2021 FC 754 -- text
Damis Properties Inc. v. The Queen, 2021 TCC 44 -- text
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
Amdocs Canadian Managed Services Inc. v. Canada (National Revenue), 2021 FC 707 -- text
Silvio Venchiarutti v. Minister of National Revenue, [1989] 2 CTC 2461, 89 DTC 676 -- text
Christie, A.CJ.T.C.: —It is alleged in the notice of appeal and admitted in the reply thereto that by an assessment dated July 9, 1985, the respondent disallowed a claimed business loss deduction of $206,132 regarding the appellant's 1984 income and
534325 Ontario Corporation v. Minister of National Revenue, [1989] 2 CTC 2456, 89 DTC 679 -- text
Teskey, T.C.J.:— The appellant appeals its 1984 reassessment wherein the Minister disallowed the sum of $88,716 to be written off as a wage expense.
Richard Gilmour v. Minister of National Revenue, [1989] 2 CTC 2454, 89 DTC 658 -- text
Taylor, T.C.J.:— This is an appeal heard in Vancouver, British Columbia on July 26, 1989 against an income tax assessment for the year 1985 in which the Minister of National Revenue disallowed, as a deduction from other income, an amount claimed as
Patricia M. Fraser, Ernest J. Kreiger and Monique C. Varelas v. Minister of National Revenue, [1989] 2 CTC 2443 -- text
Garon, T.C.J.: —These are cases where the respondent in reassessing the appellants disallowed the amounts deducted by the appellants as their share of the business losses of the General Mortgage Syndicate hereinafter described as "G.M.S."