Attorney-General for Manitoba, v. Frederick F. Worthington,, [1935-37] CTC 168 -- text
DENNISTOUN, J.A. (dissenting) :—I agree with the reasons for judgment of my brother Robson.
DENNISTOUN, J.A. (dissenting) :—I agree with the reasons for judgment of my brother Robson.
Hudson, J.:—In the year 1935 the Manitoba Administrator of Income Tax assessed the appellant, Thos. Jackson and Sons, Ltd., for income tax in respect of moneys received by them in the year 1934 from the Nelson River Construction Co. The moneys so paid
Dysart, J.—This is an appeal by Thos. Jackson & Sons, Ltd., from a decision of the Municipal Commissioner of Manitoba, on a
Davis, J.—The appellant, Loblaw Groceterias Co. Limited, earries on business in the province of Ontario as retail grocers and owns a chain of more than five retail stores or shops in the province of Ontario. The head office of the company is in the
LATCHFORD, C.J.A.:—This appeal is from a judgment pronounced on November 7, 1935, by the Honourable Mr. Justice Kingstone dismissing appeals from His Honour G. H. Hayward, Esq., Judge of the District of Temiskaming, sitting on appeals by the respondents against
RIDDELL, J.A.:—This is an appeal by the City of Toronto against the decision of The Ontario Municipal Board, ante, p. 138: On the hearing, objection was taken that no appeal lay to the Court; but we decided to hear the appeal on the merits.
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
SEMPLE, RECORDER :—Plaintiff declares—1. Under the Act, 1935 (Que.), c. 112, s. 12, it has been imposed (sic) upon any "‘individual’’ having his ordinary (sic) residence, domicile or place of business in the City of Montreal or in any of the
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
Maclean, J.:—This is an information exhibited by the Attorney-General of Canada, whereby it is sought to recover from the defendant, under the provisions of the Special War Revenue Act, 1915, R.S.C. 1927, ch. 179, and amendments. thereto, a