Charles McCarroll Smith and Phyllis G. Rudd v. Minister of National Revenue, [1950] CTC 247, [1949-1950] DTC 852 -- text

RINFRET, C.J.C.:—I would allow the appeal and reduce the valuation of the asset in question at $67,230, on the basis of the income being $9,000.00 per year. The appellants should have their costs here and below.

His Majesty the King v. Hieman Angel, Solomon Angel and Max Jerome Barzman, Carrying on Business Under the Firm Name and Style of Pacific Bedding Company, [1950] CTC 245 -- text

CAMERON, J.:—By agreement of Counsel this matter was heard at the same time as the case of The King v. Pacific Bedding Company Limited, [1950] C.T.C. 236. The facts in this case do not differ materially from those

His Majesty the King v. Pacific Bedding Company, Limited, [1950] CTC 236, [1949-1950] DTC 834 -- text

CAMERON, J.:—In this matter the plaintiff claims from the defendant company the sum of $1,366.70 said to be due and owing for sales tax under the provisions of section 86 of The Excise Tax Act, R.S.C. 1927, ¢. 179, and amendments

V., [1950] CTC 213 -- text

JEAN, J.:—Les défendeurs, par leur inscription en droit partielle, veulent faire rayer de la déclaration les par. 9, 10, 11, 12 et 18 par lesquels la demanderesse allègue qu’à la suite du décès de son mari, victime d’un accident, dont elle tient les défendeurs

Rolland and Trust Company of Canada v. His Majesty the King, [1950] CTC 197 -- text

The late Arthur Décary died in the City of Montreal on January 22nd, 1946, leaving a last Will dated November 9, 1944, executed before Morin, Notary (Exhibit P-1), by which he bequeathed all his property in trust to three trustees and executors, namely,

Williamina D. Lunn, Administratrix With the Will Annexed of George Wellington Lunn, Deceasedand v. Samuel W. Barber (By Order to Proceed)And, [1950] CTC 190 -- text

KERWIN, J.:—This action was commenced by George Wellington Lunn on September 2, 1930, against the respondent, Barber, on two promissory notes, each bearing date August 19, 1927. The statement of claim and statement of defence were delivered in May and June,

May McDougall Ross as Executrix of the Last Will of Annie McDougall, Deceased v. The Minister of National Revenue, [1950] CTC 169, [1949-1950] DTC 775 -- text

CAMERON, J.:—The appellant received from Royalite Company, Ltd. (hereinafter called Royalite), the sum of $183.90 in the year 1944, and $37,820.82 in the year 1945, under circumstances set out in the agreed statement of facts or admitted in the pleadings. The

Pages

Subscribe to Tax Interpretations RSS