Halligan v. R., [1996] 2 CTC 2555 (Informal Procedure) -- text
Sarchuk J.T.C.C.: — This is an appeal by Janice Halligan from assessments of tax with respect to the 1990 and 1991 taxation years.
Sarchuk J.T.C.C.: — This is an appeal by Janice Halligan from assessments of tax with respect to the 1990 and 1991 taxation years.
Lammare Proulx J.: The appellant instituted an appeal from the reassessment made by the Minister of National Revenue (the “Minister”) on March 30, 1987, for the appellant’s 1983 taxation year. The reassessment involves the application of subsection 55(2)
Sobier J.T.C.C.: —
These appeals were heard under the informal procedure of this Court.
Archambault J.T.C.C.: — The Appellant is appealing under the Informal Procedure from an income tax assessment by the Minister of National Revenue (Minister) for the 1993 taxation year. The issue is whether the Appellant is entitled to a tax credit
Taylor J.T.C.C.: — These are appeals heard in Ottawa, Ontario on March 19, 1996 against income tax assessments for the years 1991, 1992 and 1993 in which the Respondent disallowed claims for losses in the amounts of $11,086.33, $7,283.29 and
Taylor J.T.C.C.: — These are appeals heard in Toronto, Ontario, on December 13, 1995, against assessments of income tax for the years 1989, 1990, 1991 and 1992 in which the Respondent disallowed claims for rental losses in the amounts of
Bowman J.T.C.C.: — These appeals are from assessments for the appellant’s 1987 and 1988 taxation years. By those assessments the Minister of National Revenue added, for 1987, $29,675.46 and, for 1988, $39,868.59. The amounts represent the appellant’s share
Bowman J.T.C.C.: — This appeal is from an assessment for the appellant’s 1993 taxation year. The issue is whether the appellant must include, in the computation of capital gains realized by him on property sold in 1993, the entire gain realized
Teskey J.T.C.C.: — Hamechandra Ramdeyall (the “husband”) and Parbitri Ramdeyall (the “wife”) are spouses of one another. The husband appeals his assessments of income tax for the years 1990, 1991 and 1992. The wife appeals her assessments of income
Brulé J.T.C.C.: — What concerns me, Mr. Sarna, is this that what happens by you’re saying there was a partnership which we don’t have evidence of, that’s one side of the story, and I’m prepared just to ignore that for the moment,