City of Toronto v. Famous Players Canadian Corporation Ltd., [1935-37] CTC 133 -- text

MACDONNEL, C.C.J.:—This is an appeal by Famous Players Canadian Corporation, Ltd., (which I shall hereinafter refer to as the corporation) from an assessment of $200,000.00 in respect of income which it is alleged to have received from its subsidiary companies during

Toronto General Trusts Corporation Executor of the Will of Sarah Whitney, Deceased. v. Minister of National Revenue,, [1935-37] CTC 115 -- text

ANGERS, J.:—This is appeal by the Toronto General Trusts Corporation as executor of the last will and testament of the late Sarah Whitney, widow of Edwin Canfield Whitney, under the provisions of sees. 58 and following of the Income War Tax

His Majesty the King v. Montreal Stock Exchange, [1935-37] CTC 107, [1920-1940] DTC 307 -- text

KERWIN, J.:—The neat point for determination in these appeals is whether the sheets published by the respondents fall within the meaning of the word ‘‘newspapers’’ as used in Schedule III of the Special War Revenue Act. While the appellant

His Majesty the King v. Montreal Stock Exchange, [1935-37] CTC 102, [1920-1940] DTC 288 -- text

MACLEAN, P.:—In these two Informations it is claimed by the plaintiff, that in the period 1920 to 1927 inclusive, the first named defendant printed, produced or manufactured and sold, printed matter and thereby became liable to the sales tax imposed by the

Pages

Subscribe to Tax Interpretations RSS