Robinson (W.C.) v. Canada, [1991] 1 CTC 556 -- text
Reed, J.:—The taxpayer appeals a decision of the Minister which disallowed his claim for full farm losses for the years 1978-1980.
Reed, J.:—The taxpayer appeals a decision of the Minister which disallowed his claim for full farm losses for the years 1978-1980.
Reed, J.:—The issue in this case is whether the plaintiff's claim that a reserve of $3,084,000 for doubtful debts for its 1982 taxation year is reasonable, as required by paragraph 20(1)(l) of the Income Tax Act, R.S.C. 1952, c.
Vancise, J.A.:—
Hirschfield. J.:—The respondent Coopers & Lybrand Limited (Coopers) as the Receiver and Manager of the respondent Triman Industries Ltd. (Triman) applies for a declaration that the Royal Bank of Canada (the Bank) has priority over Revenue Canada to all moneys paid into
Boyd, J.:—By way of interpleader application pursuant to Rule 48, the Provincial Crown "the Province") seeks to pay the sum of $13,172.77, less its taxed costs, into court and for further order that upon payment in, its liability to any party in
Hollinrake, J.A. (Macdonald and Toy, JJ.A. concurring):—This is an appeal from the Judgment of Hamilton, J. (as he now is) pronounced September 11, 1989 in which the proceeds from the sale of the defendant's Motor Carrier
Dickson, J.:—This is an appeal by Airtel Communications Ltd. under section 22 of the Income Tax Act, R.S.N.B. 1973, c. 1-2, from the respondent's disallowance of a deduction claimed by Airtel under paragraph 4.3(1)(a) of the Act in respect of
Tidman, J. [Orally]:—These are two applications pursuant to Civil Procedure Rule 50 for orders directing the Accountant General of Nova Scotia to pay to the applicant sums of money previously paid into court. The respondents also claim entitlement to all
Joyal, J.:—On November 4, 1985, the Island Hall Hotel on Vancouver Island closed its doors and was called into receivership as a result of its failure to pay the required interest on current and long-term bank loans. The plaintiff was, at that
Collier, J. [Orally]:—In this action the plaintiff seeks to recover, or obtain a refund of overpayment of her income taxes for the years 1981 to 1983 inclusive.