0808414 B.C. Ltd. v. The King, 2024 TCC 99, aff'd 2025 FCA 193 -- text
Bryan v. The King, 2024 TCC 108 -- text
Intact/ Tryg/ RSA -- summary under Other
Overview
Madsen v. R., 98 D.T.C. 1668, [1998] 2 C.T.C. 3075 -- text
Christie A.C.J.T.C.:
1 These eight appeals were heard together. Each appellant seeks to deduct losses in computing his or her income. These losses pertain to the purchase of units of the capital in a partnership named Inter-Teck Oil Limited Partnership (“ITOLP”).
Distribution Lévesque Vending (1986) Ltée v. R., [1997] 3 C.T.C. 2129 -- text
Tremblay T.C.J.:
1 This appeal was heard at Québec City, Quebec, on January 15, 1997. The last written argument was filed on April 14, 1997.
Banque Royale du Canada v. Canada, 97 D.T.C. 5435, [1998] 2 C.T.C. 183 -- text
Denault J.:
1 In June 1992, Groupe LMB Experts Conseils Inc. (Groupe LMB) owed Revenue Canada an amount of $394,527.90 that was still unpaid. On September 29, 1992, requirements to pay issued under subsection 224(1.2) of the Income Tax Act were sent to two of Groupe LMB's debtors: the Hôtel-Dieu de Roberval and the town of Mascouche. Shortly afterwards, these institutions paid the Receiver General of Canada the amounts they owed Groupe LMB: $44,009.98 and $50,503.03, respectively.