Liampat Holdings Ltd. v. The Queen, 96 DTC 6020, [1996] 1 CTC 343 (FCTD) -- text

Cullen J.: This is an action by the plaintiff taxpayer, Liampat Holdings Ltd. (“the plaintiff’ or “the taxpayer”), arising out of reassessments by the defendant Minister of National Revenue (“the defendant” or “the Minister”) for the 1981 and 1982 taxation

Bâtiment Fafard International Inc. v. Minister of National Revenue, [1996] 1 CTC 337, 95 DTC 5652 -- text

Denault J.: — In the Court’s opinion, there is a serious question to be tried in the appeal filed against the orders of July 25 and 28, 1995. It appears that the judge simply quashed the demands for payment sent by the Department of National Revenue even though the motion before the judge, which was made by Bâtiment Fafard International Inc., asked only for an interim order to inform those concerned that they were not required to pay.

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