The James Maclaren Company, Limited v. Minister of National Revenue, [1951] CTC 358, [1952] DTC 1030 -- text

CAMERON, J.:—In its amended income and excess profits tax return for the year 1947, the appellant claimed a deduction from its taxable income of a proportion of taxes paid for that year on its net income to the Province of Quebec under the

Spruce Falls Power and Paper Company Limited v. Minister of National Revenue, [1951] CTC 342, [1952] DTC 1023 -- text

CAMERON, J.:—This is an appeal from an assessment for the year 1947, and made under the Excess Profits Tax Act, 1940, as amended, whereby the respondent totally disallowed the appellant’s claim to be entitled to a deduction from

John Cragg v. Minister of National Revenue, [1951] CTC 322, [1952] DTC 1004 -- text

THORSON, P.:—This is an appeal from the decision of the Income Tax Appeal Board, (1950) 3 Tax A.B.C. 203, dismissing the appellant’s appeal from his income tax assessment for the year 1946 whereby the sum of $7,537.66 was added as taxable income to

Felicia H. Flintoft, Grace C. Cassels and James Flintoft, Executors and Trustees Under the Will of Edward Percy Flintoft, Deceased v. The Minister of National Revenue, [1951] CTC 281, [1951] DTC 505 -- text

CAMERON, J.:—This is an appeal from an assessment dated March 12, 1948, and made under the Dominion Succession Duty Act (1940-41, c. 14 as amended) on the estate of Edward Percy Flintoft, late of the City of Montreal, who died testate on

Lions Gate Lumber Company Limited v. The Minister of National Revenue, [1951] CTC 279, [1951] DTC 550 -- text

SIDNEY SMITH, D.J.:—This is an appeal from the decision of the Minister of National Revenue, dated 12th June, 1950, affirm- ing the assessments for excess profits tax in respect of the taxation years ended 3lst March, 1946, 1947 and 1948, upon the ground

Hallett and Carey (B.C.) Limited v. Minister of National Revenue, [1951] CTC 277, [1951] DTC 549 -- text

SIDNEY SMITH, D.J.:—The appellant was assessed under Section 3 of the Excess Profits Tax Act for excess profits tax in respect of the taxation year ending 31st March, 1947, notwithstanding that this was its first year of operation. The

Pages

Subscribe to Tax Interpretations RSS