William Harold Connell v. Minister of National Revenue, [1946] CTC 303, [1941-1946] DTC 903 -- text

THORSON, P.:—These appeals under the Income War Tax Act, R.S.C. 1927, c. 97, from assessments for the years 1938 and 1939 raise the question whether the appellant is liable to income tax on the income derived by his wife from certain

Alberta Pacific Consolidated Oils Limited v. Minister of National Revenue, [1946] CTC 296, [1941-1946] DTC 886 -- text

CAMERON, J.:—This is an appeal by the appellant, Alberta Pacific Consolidated Oils Ltd., in respect of the assessment for income tax for the year 1940. A return was made on April 17th, 1941, and notice of assessment was given by the-Income Tax Department

Gerald S. Rutherford v. The Minister of National Revenue, [1946] CTC 293, [1941-1946] DTC 914 -- text

THOTSON, P.: In this appeal the appellant, who is legislative counsel for the Province of Manitoba and Deputy Superintendent of Insurance, and also insurance counsel, contends that the income tax assessment levied against him for the year 1943 is erroneous in

Executors of the Will of the Honourable Patrick Burns, Deceased v. Minister of National Revenue,, [1946] CTC 253 -- text

KERWIN, J.: The executors of the will of the Honourable Patrick Burns and other parties added in the Exchequer Court appeal from a judgment of that Court (ante, p. 13) dismissing an appeal from the decision of the Minister of National Revenue

Dominion Telegraph Securities Limited v. Minister of National Revenue, [1946] CTC 236, [1941-1946] DTC 875 -- text

Rand, J.: The contention of the appellant is that in 1925 when it became known that the telegraph system leased in 1878 had in large measure lost its identity through changes in location and absorption in a larger system, an agreement was made by which

British Columbia Electric Railway Company, Limited v. His Majesty the King, [1946] CTC 224 -- text

Viscount Simon :—This is an appeal by special leave from a judgment of the Supreme Court of Canada dated February 11th, 1946, which allowed the appeal of the present respondent from a judgment of the Exchequer Court of Canada, dated May 25th, 1945,

The Economic Trust Company of the City of Winnipeg, in the Province of Manitoba v. Minister of National Revenue, [1946] CTC 142 -- text

ANGERS, J.:—This is an appeal under sections 58 and following of the Income War Tax Act, 1917, and amendments thereto, from the assessment of the appellant, dated September 19, 1942, whereby a tax in the sum of $312.11 was levied in respect of

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