His Majesty the King, on the Information of the Attorney-General of Canada v. Canada Rice Mills Limited, [1938-39] CTC 322 -- text

MACLEAN, J.:—This is an action to recover from the defendant Canada Rice Mills Ltd. (to be referred to hereafter as ‘‘ Rice Mills’’), as sales tax, under the provisions of The Special War Revenue Act, the sum of $9,741.55, which with penalty interest

Riedle Brewery Limited v. Minister of National Revenue, [1938-39] CTC 312 -- text

Durr, C.J.C.:—The question presented by this appeal is by no means free from difficulty, which it is perhaps needless to observe in view of the differences of judicial opinion to which it has given rise. After fully considering the questions involved, I

Riedle Brewery Limited v. Minister of National Revenue, [1938-39] CTC 304, [1920-1940] DTC 430 -- text

MACLEAN, J.—This is an appeal from a decision of the Minister of National Revenue disallowing as a deduction the sum of $4,206.40 claimed by the appellant, in respect of its income tax assessment, for the fiscal year ended October 31, 1933. The appeal,

His Majesty the King v. Imperial Tobacco Company Limited, [1938-39] CTC 293 -- text

KERWIN, J.:—Section 119 of the Special War Revenue Act, R.S.C. 1927, ce. 179 enacts as follows: ‘‘ Everyone liable under this Act to pay to His Majesty any of the taxes hereby imposed, or to collect the same on His Majesty’s behalf, who collects,

His Majesty the King v. Imperial Tobacco Company Limited, [1938-39] CTC 283, [1920-1940] DTC 437 -- text

ANGERS, J.:—The plaintiff, by his action, seeks to recover from the defendant the sum of $68,182.54, made up as follows: $67,632.54 allegedly collected by the defendant, under colour of the Special War Revenue Act, in excess of the sum

Pages

Subscribe to Tax Interpretations RSS