Donat Flamand Inc. Et Al. v. Minister of National Revenue, [1995] 2 CTC 2590 -- text

Lamarre Proulx J.T.C.C.:-This appeal was heard on common evidence with the following appeals: Wing Hon Ng, 89-1970; Jean Lambert, 89-2932; Marcelle Thériault, 89-2933; André Gagnon, 89-2934; André Godin, 89-2936; René Brochu, 89-2938; Raymond Laflamme, 89-2941; Laurien

528061 Ontario Limited, 528062 Ontario Limited, Jerome M. Rondelez, John M. Rondelez, 608787 Ontario Inc. v. Her Majesty the Queen, [1995] 2 CTC 2579, 95 DTC 521 -- text

Lamarre Proulx, J.T.C.C.:-These appeals were heard on common evidence. With respect to the appellants 528061 Ontario Limited ("528061") and 528062 Ontario Limited ("528062"), there are two issues. The first one is whether expenses shown in the "shop expenses account" and the "suspense expenses account" were properly disallowed as not having been incurred for the purpose of producing income but incurred for personal purposes. The second issue is whether the penalties pursuant to subsection 163(2) of the Income Tax Act, R.S.C. 1952, c. 148 (am. S.C.

Grant Dorosh v. Her Majesty the Queen (Informal Procedure), [1995] 2 CTC 2568 -- text

Rip J.T.C.C.:-By assessment for 1992, notice of which is dated November 9, 1994, Grant Dorosh was assessed $63.53 with respect to Canada Pension Plan ("CPP") contribution on self-employed earnings in 1992 of $4,522.99: section 10 of CPP. The amount of

Dairy Queen Canada Inc. v. The Queen, 95 DTC 634, [1995] 2 CTC 2543 (TCC) -- text

Bell J.T.C.C.:—This is an appeal by Dairy Queen Canada, Inc. ("DQC") from an assessment by the Minister of National Revenue ("Minister") of its 1987 taxation year wherein tax in the amount of $394,700 was assessed pursuant to subsections 212.1(1), 212(2),

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