Olympia Interiors Ltd. And Mary David v. Her Majesty the Queen, [1992] 2 CTC 197 -- text

Giles, A.S.P.:— When this motion came on before me, Mr. Klotz responding, indicated that he had been retained only to present argument with respect to the alleged inadequacies of the authorization for Olympia Interiors Ltd. to commence the action. I indicated that Mr.

Echo Bay Mines Ltd. v. The Queen, 92 DTC 6437, [1992] 2 CTC 182 (FCTD) -- text

MacKay, J.:—This action is an appeal from an income tax reassessment by the Minister of National Revenue of the plaintiff's return of income for its 1980 taxation year. A statement of claim was filed December 30, 1985 (and subsequently amended December 12, 1986),

Attorney General of Canada v. Michael Vecchio, Castlegar Savings Credit Union, Coast Paper Limited, Canadian Imperial Bank of Commerce, [1992] 2 CTC 169 -- text

MacDonald, J:—This is an application to confirm a registrar’s report ordering that the interest of the respondent in certain of his lands is liable to be sold under the petitioner's judgments.

Saskatchewan Government Insurance v. Her Majesty the Queen in Right of Canada, the Minister of Human Resources, Labour and Employment, Labour Standards Branch, and the Worker's Compensation Board, [1992] 2 CTC 163 -- text

MacLeod, J.:—This application is to settle competing claims to funds which have been paid into court by Saskatchewan Government Insurance (S.G.I.) and to declare certain rights as between the parties.

Spa Springs Parks Limited v. Thorne Ernst & Whinney Inc. In Its Capacity as Receiver/Manager of the Assets of Mineral Water Company of Canada Limited, [1992] 2 CTC 154 -- text

Roscoe, J.:—This is an application by Peat Marwick (formerly Thorne Ernst & Whinney) as a receiver of certain assets of Mineral Water Company of Canada Ltd., for directions respecting the claim by Revenue Canada for payment of withholding tax assessed

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