Canadian Liquid Air Ltd. v. Minister of National Revenue, [1992] 2 CTC 2170, 92 DTC 1822 -- text
Tremblay, T.C.C.J.:—This appeal was heard on November 26 and 27,1991 at Montreal, Quebec. The transcript was received by the Court on January 27, 1992.
Tremblay, T.C.C.J.:—This appeal was heard on November 26 and 27,1991 at Montreal, Quebec. The transcript was received by the Court on January 27, 1992.
Garon, T.C.C.J.:—By his motion, the applicant is seeking an order:
1. (a) for default judgment pursuant to paragraph 63(2)(c) of the Tax Court Rules; or, failing (a),
Garon, T.C.C.J.:—In this case, the appellant appeals a reassessment of income tax dated October 3, 1988 pursuant to which the amount of $103,640 was added to the appellant's income for its 1985 taxation year.
Christie, A.C.J.T.C.C.:—These appeals pertain to reassessments by the respondent regarding the appellant's 1984 and 1985 taxation years. In reassessing he added $76,723 to income for 1984 and $85,056 for 1985.
Garon, T.C.C.J.:—This is an appeal from a reassessment dated May 12, 1988, in respect of the appellants 1987 taxation year. By this reassessment the Minister of National Revenue reduced the investment tax credit from $31,609 to $22,204. This reduction in
Mogan, T.C.C.}. (orally):—There are a number of issues in this appeal and, while the facts are fresh in my mind, I propose to give my decision this afternoon on certain issues and reserve with respect to certain others.
Allan, T.C.C.J.:—In this case the appellant has claimed expenses personally incurred by him during the taxation year which have been disallowed by the Minister on the basis that they were capital in nature and not his expenses, but those of a company which took
Garon, T.C.C.J. (orally):—These cases are appeals from reassessments dated June 16, 1989 relating to the 1985, 1986 and 1987 taxation years. By these assessments, the Minister of National Revenue decided that as a result of a transaction dated June 26, 1985, which will
Bonner, T.C.C.J.:—The appellant appeals from assessments of income for the 1982, 1983 and 1984 taxation years of its predecessor V.S. Services Ltd.. At all relevant times it was part of a group of corporations which carried on the business of offering
Beaubier, T.C.C.J.: This matter was heard at Regina, Saskatchewan, on March 20, 1992.