Pass Herald Ltd v. Google Llc, 2024 FC 1623 -- text
Axamit Versa Inc. v. The King, 2022 TCC 163 (Informal Procedure) -- text
Bishara v. The King, 2022 TCC 105 -- text
Sanchez v. The King, 2023 TCC 73 -- text
3143971 Nova Scotia Limited v. The King, 2022 TCC 138 -- text
Fournier Giguère v. The King, 2022 TCC 132 -- text
Helman, Fleming, Neve, Kambeitz and Pottinger v. Minister of National Revenue, [1970] CTC 586, [1970] DTC 6355 -- text
MILVAIN, C.J.T.D.:—This application comes before me under the apparent provisions contained in Section 126A of the Income Tax Act. I say ‘‘apparent provisions’’ of the above Act for reasons that will appear later.
Arrowhead Exploration Company Ltd. By Its Liquidator Walter N. Trenerry v. Minister of National Revenue, [1970] CTC 555, [1970] DTC 6378 -- text
JACKETT, P. (orally) :—In this appeal by the appellant from its assessment under Part I of the Income Tax Act for its 1963 taxation year, the sole question at issue between the parties is whether an amount that is taxable by virtue
Minister of National Revenue v. Stewart & Morrison Limited, [1970] CTC 431, [1970] DTC 6295 -- text
KERR, J.:—This is an appeal by the Minister of National Revenue from a decision of the Tax Appeal Board with respect to the Minister’s assessment of the respondent for income tax for its 1966 taxation year.