E. William Abrahamson v. Minister of National Revenue, 91 DTC 213, [1991] 1 CTC 2061 (TCC) -- text

Rip, T.C.J.:—In assessing E. William Abrahamson ('Abrahamson"), the ap- pellant, for 1986 the Minister of National Revenue, the respondent, included in his income the sum of $85,126 (US$62,136) received by Abrahamson in the year from an Individual Retirement Account “IRA").1

Jean-Paul Rouleau Estate v. Minister of National Revenue, [1991] 1 CTC 2055, 91 DTC 115 -- text

Garon, T.C.J. [Translation]:—This case involves appeals from tax assessments dated June 8, 1983 for the taxation years 1977 through 1981. In these assessments, the respondent added to the declared income for those taxation years the following amounts:

Burgeo Trawlers Limited v. Minister of National Revenue, 91 DTC 231, [1991] 1 CTC 2053 (TCC) -- text

Hamlyn, T.C.J.:—This appeal involves assessments of taxes payable by the appellant for the 1983, 1984 and 1985 taxation years. The Minister of National Revenue assessed on the basis that an amount due from shareholders was a deemed dividend paid to

E.H. Price Limited v. Minister of National Revenue, 91 DTC 135, [1991] 1 CTC 2045 (TCC) -- text

Taylor, T.C.J.:—These are appeals heard in Winnipeg, Manitoba, on September 14, 1990, against income tax assessments for the years 1983, 1984 and 1985 in which the Minister of National Revenue imputed interest income to the appellant under section 17 of

Sharon Buckland v. Minister of National Revenue and Donald Buckland and D.]. Buckland & Associates Ltd. (Third Parties) v. Minister of National Revenue, [1991] 1 CTC 2022, 91 DTC 131 -- text

Brulé, T.C.J.:—This is an appeal commenced by the appellant Sharon Buckland from a reassessment of income tax for the 1985 taxation year. Subsequently upon application the Court under the provisions of subsection 174(3) of the Income Tax

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