The Minister of National Revenue v. The National Trust Company, Limited,, [1948] CTC 339 -- text

KELLOCK, J.:—Section 6 of the Dominion Succession Duty Act, as it stood at the time of the matters here in question, provides for liability to duty subject to the exemptions in section 7. Section 7, so far as material, is as

Atlantic Sugar Refineries Limited v. Minister of National Revenue, [1948] CTC 326, [1949-1950] DTC 507 -- text

THORSON, P.:—This appeal is from the income tax assessment levied against the appellant for the year 1939, to the extent that it was thereby sought to hold it liable to tax on the profit made by it in such year from sales and purchases of raw

International Harvester Company of Canada, Ltd. v. Provincial Tax Commission and Others, [1948] CTC 307 -- text

Lor Morton or Henryton:—This is an appeal, by special leave of His Majesty in Council, from so much of the judgment of the Supreme Court of Canada dated 22nd April, 1941, as is adverse to the appellant. The appeal relates to three assessments of

D. R. Fraser & Company Limited v. Minister of National Revenue, [1948] CTC 297 -- text

Lord MACMiLLAN :—In the fiscal year 1940-41 the appellant company, in pursuance of their business as lumbermen, held three Government licences under which they cut timber in three areas of Crown Land in the Province of Alberta. In making their income tax

Executors of the Estate of David Fasken v. Minister of National Revenue, [1948] CTC 265 -- text

THORSON, P.—The appeals herein are from income tax assessments for the years 1925 to 1929 in respect of amounts of income received in such years by Alice Fasken, the wife of David Fasken, on which it is sought to hold the estate of the said

T. E. McCool Limited v. Minister of NATIONAL.REVENUE, [1948] CTC 247, [1946-1948] DTC 1202 -- text

CAMERON, J.:—This is an appeal from assessments to income tax and excess profits tax for the taxation year 1942. The appellant had claimed a normal depletion allowance in the sum of $51,874.36, and also, as an expense, certain interest paid on its note

Roderick W.S. Johnston v. Minister of National Revenue, [1948] CTC 195, [1946-1948] DTC 1182 -- text

RAND, J. (delivering the judgment of the Chief Justice, Kerwin and Rand, JJ.) :—This appeal raises a question in the interpretation of Rules 1 and 2 of Section 1 of the First Schedule to the Income War Tax Act. These rules,

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