Nassau Walnut Investments Inc. v. Her Majesty the Queen, [1995] 2 CTC 2057, 95 DTC 367 -- text

McArthur J.T.C.C.:-In computing its income for the taxation year ending January 31, 1989, the appellant included the amount of $699,000 as a deemed dividend from Westminster Transport Limited (’’Westminster”) pursuant to subsection 84(3) of the Income Tax

Michael and Joyce Narine v. Her Majesty the Queen (Informal Procedure), [1995] 2 CTC 2055 -- text

Bowman J.T.C.C.:-These appeals were heard together. For Michael Narine the year in question is 1989 and for his wife Joyce Narine the years are 1990 and 1991. The issue in both cases is the deductibility in computing income of losses incurred by them

Randy Mann v. Her Majesty the Queen (Informal Procedure), [1995] 2 CTC 2049 -- text

Kempo J.T.C.C.:-This informal procedure appeal concerns Mr. Mann’s 1992 taxation year and is from the disallowance by the Minister of National Revenue of a claimed moving expense deduction in the amount of $7,532.26 representing an expenditure incurred by Mr.

Victoria E. Dait and Stephen R. Dait v. Her Majesty the Queen, [1995] 2 CTC 2022 -- text

O’Connor J.T.C.C.:—These appeals were heard on common evidence at Calgary, Alberta on February 6, 1995 pursuant to the informal procedure of this Court and relate to the years 1989, 1990 and 1991. The appellants were represented by their agent, Ron Hewitt, a

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