Luigi Tiengo Art & Design Inc. v. Minister of National Revenue, [1992] 1 CTC 2097, 91 DTC 1216 -- text

Lamarre Proulx, T.C.C.J.:—The appellant appeals the reassessments of income tax made by the respondent, the Minister of National Revenue, for the appellant's 1985 and 1986 taxation years. The question in issue is whether amounts paid to the appellant were

Munich Reinsurance Company (Canada Branch) v. Minister of National Revenue, [1992] 1 CTC 2004, 91 DTC 1137 -- text

Rip, T.C.C.J.:—The issue in these appeals from income tax assessments for 1985 and 1986 is whether the appellant, Munich Reinsurance Company (Canada Branch) (“ Munich”), properly computed its income for those years in accordance with subsection 138(9) of the

495187 Ontario Ltd. v. The Queen, 92 DTC 6311, [1992] 1 CTC 355 (FCTD), aff'd sub nomine The Queen v. Sarraf, 93 DTC (FCA) -- text

Reed, J.:—The defendant brings a motion to have the plaintiff's statement of claim struck out because the plaintiff is a non-existent company. There is no doubt that the plaintiff was dissolved on May 17, 1988, pursuant to subsection 240(3) of the

Lornport Investments Ltd. v. The Queen, 92 DTC 6231, [1992] 1 CTC 351, [1992] 1 CTC 354 (FCA) -- text

Stone, J.A.:—This appeal is from an order of the Trial Division made November 30, 1990, in response to two questions of law submitted pursuant to Rule 474 of the Federal Court Rules and set down for determination pursuant

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