George E. Waugh, Jerry W. Higgins, K. Michael Lowther, Trevor S. Russell, Constance K. Duncan, Christopher G. Duncan, Ronald Rodrique, Alex Bodnar, Brian Smedley, Robert L. Brewin, Leslie H. Shumka v. Minister of National Revenue, [1990] 1 CTC 2346, 90 DTC 1117 -- text

Christie, A.C.J.T.C.:—This is a test case. It is agreed that its disposition shall apply to 11 other appeals. [1]

Richard B. Stursberg, A.L. Peter Stursberg, Jessmar Investments Ltd., Richard K.G. Stursberg, W.B.G. Developments Ltd., Margaret L. Sheardown, Noran M. Sheardown and Frances E. Duncan v. Minister of National Revenue, [1990] 1 CTC 2335, 90 DTC 1159 -- text

Mogan, T.C.J.:—The appellant was a partner in a general partnership formed under the laws of British Columbia and under the firm name and style "Kanvan Group" (the "Partnership"). The purpose of the Partnership was to purchase certain land; to plan,

Mark Harding v. Minister of National Revenue, [1990] 1 CTC 2322, 90 DTC 1169 -- text

Sarchuk, T.C.J.:—Mark Harding appeals from reassessments made by the respondent with respect to his 1979 to 1985 taxation years inclusive. Initially a number of issues were before me; however the parties have consented to judgment being issued by this Court

The Douglas Jamison Caldwell Trust, the Susan Alexandra Caldwell Trust and the Derek Wilson Caldwell Trust v. Minister of National Revenue, [1990] 1 CTC 2310, 90 DTC 1155 -- text

Bonner, T.CJ.:—The appellants appeal from assessments of income tax for the 1981, 1982 and 1983 taxation years. At issue is the appropriate treatment of certain dividends. During the first two years the appellants held all the issued shares of Prince

Central Amusement Company Limited v. Minister of National Revenue, [1990] 1 CTC 2299, 90 DTC 1208 -- text

Christie, A.C.J.T.C.:—This appeal relates to the appellant's 1983 taxation year. The issue is whether, in computing its income for that year, the appellant is entitled to deduct expenditures that it made of $175,026 as currently deductible expenses. In reassessing

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