Glen Witherspoon v. Her Majesty the Queen, [1991] 2 CTC 228, 91 DTC 5550 -- text
Jerome, J. [Orally]:—Thank you, Mr. Witherspoon. I wish I could be more favourable in the judgment. I am afraid I have to dismiss your appeal. Here are my reasons.
Jerome, J. [Orally]:—Thank you, Mr. Witherspoon. I wish I could be more favourable in the judgment. I am afraid I have to dismiss your appeal. Here are my reasons.
Giles, A.S.P.:—The motion before me in this case on September 30, 1991, was for a stay under section 50 of the Federal Court Act or in the alternative dismissing the action for want of prosecution. I dismissed the motion. Counsel
Giles, A.S.P.: —I note that Rule 300(1) provides:
An individual may act in person or be represented by a solicitor in any proceedings in the Court.
Mahoney, J.A. [Marceau and MacGuigan, JJ.A concurring]:—This is an appeal from a reported decision of the Trial Division [1991] 1 C.T.C. 197; 91 D.T.C. 5085, which dismissed the appellant's appeal against its 1985 and 1986 income tax assessments imposing a
Dubé, J. [Translation]:—The question to be resolved in this tax case is whether the interest paid by the plaintiff in the 1983, 1984 and 1985 taxation years can be deducted from tax pursuant to the provisions of subparagraph 20(1)(c)(i) of the
Jerome, A.C.J.:—This is an action by way of appeal pursuant to sections 51.24 and 51.28 of the Excise Tax Act, R.S.C. 1970, c. E-13, as amended. The Attorney General of Canada (the "plaintiff") appeals a decision of the Tariff
Marceau, J.A.: — In spite of the very able argument of Mr. Greene, we have not been persuaded that the judgment of the Trial Division was ill-founded.
Joyal, J.: —In these proceedings relating to an income tax appeal, the plaintiff taxpayer seeks an order from this Court for the production by the defendant of certain confidential documents in its possession.
Boyd, J.:—This is an appeal of a decision of the Minister of Finance and Corporate Relations, disallowing the petitioner's appeal of an assessment made under the Corporation Capital Tax Act (“the Act”). The appeal is brought