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

Katherine Furfaro-Siconolfi v. The Queen, [1990] 1 CTC 33, [1990] 1 CTC 188, [1990] DTC 6237 -- text

Pinard, J.: —In this action, pursuant to subsections 172(1) and 175(3) of the Income Tax Act, S.C. 1970-71-72, c. 63 as amended, the plaintiff is appealing from a decision of the Tax Court of Canada which dismissed her two appeals

Normand Letourneau and Sydney Pfeiffer in His Capacity of Trustee in Bankruptcy of Normand Letourneau and Dominic Laia and Sydney Pfeiffer in His Capacity of Trustee in Bankruptcy of Dominic Laia v. Tax Court of Canada and Minister of National Revenue, [1990] 1 CTC 32 -- text

Hugessen, J.A.:—Though the reasons given by the Tax Court of Canada judge in support of his refusal to exercise his discretion to extend the deadline are not beyond all criticism, we all consider that the result at which he arrived is the

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