Ristorante A Mano Limited v. M.N.R., 2021 TCC 22 -- text
Carvest Properties Limited v. The Queen, 2021 TCC 21, aff'd 2022 FCA 124 -- text
TFI Foods Ltd. v. Every Green International Inc., 2021 FC 241 -- text
Vincent Lao v. Minister of National Revenue, [1991] 1 CTC 2718, 91 DTC 330 -- text
Mogan, T.C.J.:—The issue in this appeal is whether an amount of $22,500 received by the appellant soon after he commenced working for a corporation known as Equipment Planning Associates is to be included in computing his income for 1985 as income from employment.
Joel Attis v. Minister of National Revenue, [1991] 1 CTC 2717, 91 DTC 872 -- text
Dussault, T.C.J.:—By way of a preliminary motion, the appellant asked the Court to allow his appeal and order that the reassessment dated October 11, 1989, with respect to his 1985 taxation year be vacated on the basis that it is statute barred.
Allan Kleinfelder v. Minister of National Revenue, [1991] 1 CTC 2712, 91 DTC 913 -- text
Hamlyn, T.C.J.:—The appellant by way of notice of appeal with respect to his 1984 taxation year appeals their assessment by the respondent wherein the respondent disallowed $28,624.12 in business expenses in relation to an automobile venture, legal expenses and
Maurice Egan v. Minister of National Revenue, [1991] 1 CTC 2709, 91 DTC 797 -- text
Beaubier, T.C.J. [Orally]:—This matter was heard in Vancouver, B.C., on January 30, 1991.
This is an appeal respecting the appellant's 1980, 1981 and 1982 taxation years.
Mr. Egan was born February 3, 1924.
Alain Guilbert v. Minister of National Revenue, 91 DTC 740, [1991] 1 CTC 2705 (TCC) -- text
Dussault, T.C.J.:—This is an appeal from reassessments by the respondent dated July 8, 1988, concerning the appellant's 1984, 1985 and 1986 taxation years, by which the respondent included in the appellant's income the value of housing provided to the
Pat Marcantonio v. Minister of National Revenue, 91 DTC 917, [1991] 1 CTC 2702 (TCC) -- text
Mogan, T.C.J.:—The issue in this appeal is whether certain payments made in 1984 by the appellant to a corporation controlled by his wife are deductible in computing the professional income of the appellant.