Helmut William Bruno Schroder and Charles Geoffrey Vickers, Executors of the Will of Emma Christine Maria Theodore Schroder, Deceased v. Minister of National Revenue, [1955] CTC 290, 55 DTC 1128, [1955] CTC 289 -- text

CAMERON, J.:—This is an appeal from an assessment to succession duty on the ground that the property, the subject matter of the succession, has been excessively valued by the respondent. The deceased, Baroness Schroder, died testate on June 18, 1944, domiciled

North Bay Mica Company, Limited v. Minister of National Revenue, [1955] CTC 260, 55 DTC 1157 -- text

RITCHIE, J.:—This is an appeal from a reassessment of income tax, under date of September 21, 1951, made by the Minister of National Revenue in respect to the 1951 taxation year of the appellant, which ended on February 28, 1951.

In the Matter of the Trust Deed of Arthur Sturgis Hardy, [1955] CTC 220, 55 DTC 1175 -- text

Pickup, C.J.O. (orally) :—The Official Guardian appeals to this Court from an order made by Ferguson, J., sitting in Weekly Court at Ottawa, the order of Ferguson, J., being dated January 12, 1955. By that order it was declared that certain monies in

In Re Montreal Trust Company, Mary Loghrin Calder and William Campbell Bathgate, Executors and Trustees Under the Last Will and Testament of Emily Rhoda Bathgate., [1955] CTC 210, 55 DTC 1187 -- text

RITCHIE, J.:—This is an appeal from an assessment made by the Minister of National Revenue levying succession duty in respect of the estate of Emily Rhoda Bathgate and the successions arising therefrom.

Home Oil Company Limited v. Minister of National Revenue, [1955] CTC 192, [1955] DTC 1148 -- text

RAND, J.:—This is an appeal by a company engaged in the production of natural oil and gas, and the question raised is whether the income in respect of which the allowance for depletion under Section 11(1) (b) of the Income Tax Act

The Calgary & Edmonton Corporation Limited v. Minister of National Revenue, [1955] CTC 161, 55 DTC 1099, [1955] CTC 160 -- text

FOURNIER, J.:—This is an appeal from a decision of the Income Tax Appeal Board dismissing the appellant’s appeal from its income tax assessments for the years 1949 and 1950, whereby the respondent sought to hold it liable to tax on certain amounts it

Egbert Douglas Honeyman v. Minister of National Revenue, [1955] CTC 151, 55 DTC 1094 -- text

FOURNIER, J.:—This is an appeal from a decision of the Income Tax Appeal Board dated May 12, 1953, dismissing the appellant’s appeal from income tax assessments levied against him for the years 1947, 1948 and 1949, whereby it was sought to hold him

Pages

Subscribe to Tax Interpretations RSS