Minister of National Revenue v. George Lindsay Bower, [1959] CTC 107, 59 DTC 1055 -- text

CAMERON, J.:—This is an appeal from a decision of the Income Tax Appeal Board dated September 14, 1956 (15 Tax A.B.C. 411) allowing the respondent’s appeal from assessments made upon him for the years 1952 and 1953. In each of these years the

Federal Farms Limited v. Minister of National Revenue, [1959] CTC 98, 59 DTC 1050 -- text

CAMERON, J.:—This is an appeal from a re-assessment made upon the appellant for the taxation year 1955 and dated June 21, 1997. In its return for that year the appellant showed a net loss of $20,061.04, but in the re-assessment the respondent added

Charles Glass Greenshields and Chartered Trust Company v. Her Majesty the Queen, [1959] CTC 77 -- text

TASCHEREAU, J.:—Tous les faits de cette cause ont été rapportés dans les raisons écrites de certains de mes collègues, et il est en conséquence inutile de les citer de nouveau. Je ne désire qu’ajouter quelques mots pour préciser davantage ma pensée.

Falaise Steamship Company Limited v. Minister of National Revenue, [1959] CTC 67, 59 DTC 1016, [1959] CTC 66 -- text

DUMOULIN, J.:—This is an appeal from that part of a decision of the Income Tax Appeal Board (17 Tax A.B.C. 449), dated August 16, 1957, in respect of the income tax assessment for 1952 of Falaise Steamship Company Limited, relating to the payment by

Imperial Oil Limited v. Minister of National Revenue, [1959] CTC 29, 59 DTC 1034 -- text

THORSON, P.:—The appellant has appealed against its income tax assessments for 1951, 1952 and 1953 but it was agreed between counsel that the Court should now hear only its appeal against the 1951 assessment and that its appeals against the assessments for

Interprovincial Pipe Line Company v. Minister of National Revenue, [1959] CTC 1, 59 DTC 1018 -- text

THURLOW, J.:—This is an appeal from income tax reassessments in respect of the appellant’s income for each of the years 1950 to 1954 inclusive. The matter began as five separate appeals taken in respect of the assessments for each of the years mentioned,

Teva Canada Limited v. Janssen Inc., 2023 FCA 68 -- text

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