Jean Bouchard v. Minister of National Revenue, [1993] 1 CTC 2622, 93 DTC 1163 -- text

Lamarre Proulx, T.C.C.J.:—These are appeals from reassessments for 1980, 1981, 1982 and 1983. These reassessments were made by the respondent using the net worth method. This method is used by the Minister of National Revenue (the "Minister") where bad

170635 Canada Ltée v. Minister of National Revenue, [1993] 1 CTC 2602, 93 DTC 1129 -- text

P.R. Dussault, T.C.C.J.:— This is an appeal from a reassessment for the appellant's 1985 taxation year. By that reassessment the Minister of National Revenue ("the Minister”) added to the appellant's income the value of its work in progress at the end of its 1984

Dr. John v. Hover v. Minister of National Revenue, [1993] 1 CTC 2585, 93 DTC 98 -- text

Bowman, T.C.C.J.:—For the 1984, 1985 and 1986 taxation years, the appellant was reassessed on the basis that his chief source of income was neither farming nor a combination of farming and some other source of income. Accordingly, the Minister of

Roger Coderre, Daniel Marcoux, Pierre Daneau, Denis Coderre, Raymond Brisson, Madeleine Coderre and St. Germain Transport Ltée v. Minister of National Revenue., [1993] 1 CTC 2564, [1993] DTC 381 -- text

Garon, T.C.C.J.:—The appellant, St-Germain Transport Ltée, hereinafter called” société St-Germain” or the "appellant corporation”, has appealed from reassessments dated February 1, 1989 for the 1980, 1981, 1982, 1983 and 1984 taxation years.

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