Consolidated Textiles Limited v. The Minister of National Revenue, [1947] CTC 63, [1946-1948] DTC 958 -- text

THORSON, P.:— In its Income tax return for the year ending December 31, 1939, the appellant showed a taxable income of $9,868.38. When the assessment for such period was finally made a number of deductions which the appellant had claimed were disallowed

Anglo-Canadian Oil Company, Limited v. The Minister of National Revenue, [1947] CTC 47, [1946-1948] DTC 950 -- text

CAMERON, J.:—This is an Income Tax appeal in respect of the year 1941. Notice of assessment was forwarded to the appellant on May 11th, 1945, and on June 6th, 1945, it gave notice of appeal. On September 25th, 1945, the Minister gave his deeision,

Vancouver Towing Company Limited v. Minister of National Revenue, [1947] CTC 18 -- text

CAMERON, J.:—This is an appeal from income tax and excess profits tax assessments for the year 1941, 1942 and 1943. The usual returns for the various years were made by the appellant, and notices of assessment were mailed to the appellant in each

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

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