Earl C Adams v. Minister of National Revenue, [1978] CTC 3012, [1978] DTC 1736 -- text

Assistant Chairman:—Earl C Adams (the appellant) appealed to this Board from an assessment for income tax for the 1975 taxation year. In that year the appellant. in computing his taxable income, inter alia. claimed as a deduction a portion of an

R M Latta and Active Petroleum Products LTD v. Minister of National Revenue, [1978] CTC 3003, [1978] DTC 1719 -- text

Delmer E Taylor:—These are appeals heard on common evidence from income tax assessments in which the Minister of National Revenue disallowed as company expenses certain amounts claimed as promotional expenditures by Active Petroleum Products Ltd for each of the taxation

Ivesleigh Holdings Inc, Fontaine, Bilodeau & Cie Ltée, Baribeau & Fils Inc, Jeviam Inc v. Minister of National Revenue, [1978] CTC 2984 -- text

Roland St-Onge [TRANSLATION]:—The appeals of Ivesleigh Holdings Inc, Fontaine, Bilodeau & Cie Ltée, Baribeau & Fils Inc and Jevlam Inc were heard by me on September 16, 1977 in Quebec City, Quebec. At issue is the value of Class A common

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