Cancor Software Corp. (Formerly Cancor Computer Corp.), Cancor Research, Inc. And Thomas A. Corr v. Her Majesty the Queen, [1994] 1 CTC 237, 94 DTC 6102 -- text

Arbour, Abella and Austin, JJ.A. (orally):— The central argument advanced on behalf of the appellants before this Court is that the trial iudge misapprehended the evidence with respect to the true nature of the arrangements between IBS (US)

City Centre Properties Inc. (Successor in Name to Royalty Mall Limited) v. Her Majesty the Queen, [1994] 1 CTC 221, 94 DTC 6209 -- text

MacKay, J.:— This is an action for declaratory relief, sought in one or more forms, the effect of which would be to declare that the plaintiff is not liable for payment of income taxes and interest arising from reassessments, made in 1983 b the

Orenstein & Partners Inc. In Its Capacity as Court-Appointed Receiver of the Part Viii Tax Refund of Scannar Industries Inc. And Scannar Industries Inc. v. Her Majesty the Queen, [1994] 1 CTC 215 -- text

Denault, J.:— This is an appeal pursuant to Rule 336(5) of the Federal Court Rules by the defendant from the order of the Associate Senior Prothonotary Giles dated April 19, 1993, granting leave to the plaintiffs to file an amended statement of

666659 Ontario Inc. O/a Canam Enterprises, Abb Flakt Ventilation and Refrigeration Inc., Abb Flakt Ross Inc., Johnson Controls Limited, A.J. Copley & Associates Limited, Majestic Supplies Limited, Wabco Standard Trane Inc. C.O.B. As Trane Canada Insulcon Insulation Inc. And E.H. Price Sales Limited v. Foster-Ross Mechanical Limited, Ellis-Don Construction Limited, London Life Insurance Company and 666659 Ontario Inc. O/a Canam Enterprises, [1994] 1 CTC 210, 93 DTC 5515 -- text

Kennedy, J.:— This matter comes before me pursuant to the order of McDer- mid, J. pronounced March 4,1993 for the following relief:

A determination as to:

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