Laurentide Rendering Inc. v. The Queen, 88 DTC 6331, [1988] 2 CTC 200 (FCA) -- text

Desjardins, J. [Translation]:—The only point at issue is whether the trial judge erred in law when, in a judgment dated November 19, 1982, he held that an amount of $171,496.13 received by the appellant as recaptured capital cost allowance on class

G.R. Block Research & Development Corporation v. Minister of National Revenuefederal Court — Trial Division (Dubé, J.) February 2, 1987 (Court No. T-118-87), on Application for Writs of Certiorari and Prohibition to Quash Assessment and Collection Actions by the Minister of National Revenue. For Headnote and Judgment to This Case See P. 253. Donald A. Lairdand Her Majesty the Queen, [1987] 1 CTC 255 -- text

Dubé, J.:—The plaintiff's motion is for default judgment in an income tax matter. His statement of claim was filed on December 22, 1986. A copy of it was served on the Attorney General of Canada in Ottawa, Ontario on December 31, 1986. The

The Queen v. Lehndorff Realty Developments Ltd., 86 DTC 6610, [1987] 1 CTC 42 (FCTD) -- text

Cullen, J.:—This is an appeal from a decision of Mr. Goetz of the Tax Review Board, who upheld the appeal of Lehndorff Realty Developments Limited in respect of a reassessment for its 1974 taxation year. The issue in the appeal is the proper

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