Splane v. The Queen, 90 DTC 6442, [1990] 2 CTC 199 (FCTD), briefly aff'd 92 DTC 6021 (FCA) -- text

Cullen, J.: —In these actions, the plaintiff is appealing the reassessments to income tax for each of his 1985, 1986 and 1987 taxation years. The parties agreed to proceed on the basis of an agreed statement of facts and counsel requested

Regina Shoppers Mall Ltd. v. The Queen, 90 DTC 6427, [1990] 2 CTC 183 (FCTD) -- text

Addy, J.:—The plaintiff appealed against an income tax assessment issued by the defendant against it for the 1979 taxation year. Another action was also- instituted pursuant to which it contested the assessment for 1980. Both actions were ordered to be

Mohawk Oil Co. Ltd. v. Her Majesty the Queen, [1990] 2 CTC 173, 90 DTC 6434 -- text

Teitelbaum, J.:—The plaintiff, Mohawk Oil Co. Ltd. (Mohawk) carries on the business of distributing and marketing automotive fuels and convenience goods and oil and gas exploration. On November 27, 1978, Mohawk entered into a purchase agreement with Phillips

Algonquin Enterprises Ltd. v. Her Majesty the Queen and Dartmouth Developments Ltd. v. Her Majesty the Queen, [1990] 2 CTC 170, 90 DTC 6377 -- text

Hugessen, J.A.:—The appellants, who are land developers, entered into a certain number of 50-year leases of residential lots with an option to purchase exercisable by the lessees at any time during that term. At issue in these appeals is the trial

Pages

Subscribe to Tax Interpretations RSS