John D. Wright v. Her Majesty the Queen, [1993] 2 CTC 2847, 93 DTC 1196 -- text

Sarchuk, T.C.C.J.:—This is an appeal by John D. Wright (“Wright”) from an assessment of tax made by the Minister of National Revenue (the"Minister") with respect to Wright's 1987 taxation year. In issue is the Minister's inclusion of the profit realized

James A. Jastrebski and Gabrielle Jastrebski v. Her Majesty the Queen (Informal Procedure), [1993] 2 CTC 2845 -- text

Taylor, T.C.C.J.:— These appeals against assessments of income tax, were all heard on common evidence under the informal procedure on August 10, 1993 at Sudbury, Ontario. For James A. Jastrebski the issue was whether amounts received — 1990: $20,877 and

Frederick Day v. Her Majesty the Queen, [1993] 2 CTC 2837, 93 DTC 1231 -- text

Rowe, D.T.C.C.J.:—The appellant appealed from reassessments of income tax with regard to his 1985, 1986 and 1987 taxation years. The respondent reassessed on the basis that the appellant was entitled only to restricted farming losses pursuant to subsection 31(1)

Majestic Tool & Mold Limited v. Her Majesty the Queen (Informal Procedure), [1993] 2 CTC 2813 -- text

Kempo, T.C.CJ. (orally):—These informal procedure appeals concern the appellant's taxation years ending October 31, 1989 and October 31, 1990. They arise from reassessments by the Minister of National Revenue (the"Minister") as particularized in the reply to the

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