Berl Baron, Howard Baron, C.A., Steven Grossman and Interact Laser Industries Inc. v. Her Majesty the Queen, Attorney General of Canada and the Honourable Otto Jelinek in His Capacity as Minister of National Revenue, [1990] 1 CTC 84, 90 DTC 6040 -- text

Reed, J.:—This is yet another challenge to the search and seizure provisions set out in section 231.3 of the Income Tax Act, S.C. 1970-71-72, c. 63, as amended S.C. 1986, c. 6, section 121. It is argued that those provisions

Androwich v. The Queen, 90 DTC 6084, [1990] 1 CTC 78 (FCTD), briefly aff'd 93 DTC 5275 (FCA) -- text

Teitelbaum, J.:—This is an appeal by the plaintiff, Arthur John Androwich, from a decision of the Tax Court of Canada dated September 10, 1987 dismissing the plaintiff's appeal from the reassessment of his income tax for the 1984 taxation year.

Dimitros (James) Gallos and Appollo’s Maintenance Services Limited v. Her Majesty the Queen, [1990] 1 CTC 77 -- text

Jerome, A.C.J.: —These applications came on for hearing at Toronto, Ontario, on April 10, 1989. At the conclusion of argument, I gave oral reasons for granting the applications and indicated that if either party requested it, brief written reasons

City Centre Properties Inc. (Successor in Name to Royalty Mall Ltd.) v. Her Majesty the Queen, [1990] 1 CTC 71, 90 DTC 6080 -- text

Cullen, J.: —This is an action byway of an amended statement of claim for declaratory relief that the plaintiff is not indebted to the defendant for reassessment of taxes of the Dale Corporation following the purchase and sale of the said

Kaiser Petroleum Ltd. v. The Queen, 90 DTC 6034, [1990] 1 CTC 62 (FCTD), rev'd 90 DTC 6603 (FCA) -- text

Joyal, J.:—The issue before this Court is to determine if a payment of $2,772,217 by the plaintiff in the taxation year 1978 is in the nature of a deductible expense or an outlay on account of capital pursuant to the provisions of the

Her Majesty the Queen v. Marcel Dumais, [1990] 1 CTC 54, [1989] DTC 5543, [1990] 1 CTC 342 -- text

Dubé, J.:—This appeal seeks to reverse a decision of the Tax Court of Canada [1] , holding that the respondent only owed tax on half the taxable capital gain from the disposition in 1982 of real estate which was part of

The Queen v. London Life Insurance Co., 90 DTC 6001, [1990] 1 CTC 43 (F.C.A) -- text

Stone, J.A.:—This appeal from a judgment of the Trial Division rendered July 28, 1987, raises an issue whether the appellant, which carried on a life insurance business in Canada in the taxation year 1976, also carried on an insurance business in

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