France Julien v. Minister of National Revenue, [1991] 1 CTC 2391, 91 DTC 586 -- text
Tremblay, T.C.J. [Translation]:—This case was heard in the city of Sherbrooke, Québec.
Tremblay, T.C.J. [Translation]:—This case was heard in the city of Sherbrooke, Québec.
Kempo, T.C.J.:—This appeal is from the respondent's assessment dated May 29, 1987 which was made pursuant to subsection 160(1) of the Income Tax Act, R.S.C. 1952, c. 148 (am. S.C. 1970-71-72, c. 63) (the"Act").
Sarchuk, T.C.J. [Orally] I am not going to reserve on this. Ms. Lloyd does not seem particularly surprised. You have heard my earlier comments. They reflect my perception of the evidence as I have heard it.
Margeson, T.C.J. [Orally]:—This is a decision in the matter of the appeals of R. Kendall Morash (89-1075(IT)), James A. George (89-1076(IT)) and Patricia Noonan (89-1020 (IT)). It was agreed at the beginning of these trials that all three cases would be heard on common evidence.
Mogan, T.C.J.:—The issue in this appeal is whether the appellant, in her special circumstances, is entitled to the child tax credit for 1988. The respond ent admitted all of the facts alleged in the notice of appeal and the parties filed with
Margeson, T.C.J. [Orally]This is an appeal by the taxpayer, a doctor, from the assessment of the Minister of National Revenue dated August 23, 1988, for instalment interest in the amount of $2,770. The facts disclose, according to the appellant, that in the years
Margeson, T.C.J. [Orally]:—It was agreed at the outset by the parties that the facts as set out in the pleadings would be accepted by both parties as the facts in the case, and the case proceeded on the basis of an argument on the interpretation of
Tremblay, T.CJ. [Translation]:—These two appeals were heard on common evidence in the city of Sherbrooke, Québec.
Christie, A.C.J.T.C.:—These appeals which relate to 1981, 1982, 1983 and 1984 were heard on common evidence. The appellants are husband and wife. At the outset of the hearing counsel for the appellants informed the court that the appeals regarding 1981 had
Mogan, T.C.J.:—The issue in this appeal is whether certain interest derived from term deposits during the appellant's 1983 and 1984 taxation years was income from an active business as claimed by the appellant or income from property as claimed by the