Robert J. McMynn and Joanne J. McMynn v. Her Majesty the Queen, [1995] 1 CTC 2417, 95 DTC 329 -- text
Rowe D.J.T.C.C.:—This appeal was heard under the General Procedure of this Court.
Rowe D.J.T.C.C.:—This appeal was heard under the General Procedure of this Court.
Mogan J.T.C.C.:-This case was commenced when Carole Ann Walker (the appellant) filed a notice of appeal from certain income tax assessments. The Minister of National Revenue (the Minister) made an application to this Court under section 174 of the Income Tax Act, R.S.C. 1952, c. 148 (am. S.C. 1970-71-72, c. 63) (the ’’Act") (i) for an order joining Roy S. Shattock (the former husband of Carole Ann Walker) as a third party to her appeal; and (ii) for the determination of certain questions set out in the Minister’s application.
Kempo J.T.C.C.:-This informal procedure appeal concerns the appellant’s 1989, 1990 and 1991 taxation years.
Bowman J.T.C.C.:—These appeals from assessments for the 1989 and 1990 taxation years were heard together. The issue is whether the Minister of National Revenue was justified in allocating a portion of the interest expense claimed by Mr. and Mrs. Tsiantoulas to
Taylor J.T.C.C.:—This is an appeal under the informal procedure heard in Toronto, Ontario on November 2, 1994, against an income tax assessment for the year 1991 in which the respondent had included an amount of $25,000 in taxable income, that amount arising
Teskey J.T.C.C.:—This appeal was heard under the informal procedure.
Lamarre Proulx J.T.C.C.:—The appellant is appealing under the informal procedure for the 1992 taxation year.
McArthur J.T.C.C.:—Upon consent of all parties, these appeals were heard on common evidence, pursuant to the informal procedures of this Court, in Saskatoon, Saskatchewan.
Mogan J.T.C.C. (orally):—The appellant is the president and beneficial owner of all the issued shares of Hilscher Meat & Delicatessen Ltd. (referred to herein as the "corporation") carrying on business in Edmonton, Alberta. For the taxation years 1983 and 1984, the
Kempo J.T.C.C. (orally):-This appeal concerns an assessment dated October 19, 1988, which was raised by the Minister of National Revenue pursuant to the director’s liability provisions of the Income Tax Act, R.S.C. 1952, c. 148