Ralph K. Farris v. Minister of National Revenue, [1963] CTC 345, 63 DTC 1221 -- text

KEARNEY, J.:—We are here concerned with two separate appeals from income tax assessments levied by the Minister upon the appellant for the year 1952 (case No. 160170) and for 1953 (case No. 160171). Both notices of appeal were filed in this Court on

Jack Blustein, Murray Blustein and Irving Blustein v. Minister of National Revenue, [1963] CTC 326, 63 DTC 1213 -- text

CATTANACH, J.:—These are appeals from judgments of the Tax Appeal Board ((1961), 26 Tax A.B.C. 238, 240) dismissing appeals by the appellants from ssessments of income tax for the year 1956. As the same problem is involved in all three cases the appeals

Brookview Investments Limited, Frank Wilson, Morris Wilson, Sydney Wilson, Ellendale Investments Limited, Bruce Finkler and Elliot L. Marrus v. Minister of National Revenue, [1963] CTC 316 -- text

CATTANACH, J.:—These appeals against the appellants’ income tax assessments for their respective taxation years ending March 31, 1958, with the exception of the appellant, Brookview Investments Limited which is an appeal against the assessment for the taxation year ending

Consolidated Denison Mines Limited and the Rio Tinto Mining Company of Canada Limited Et Al. v. Deputy Minister of National Revenue for Customs and Excise, [1963] CTC 290 -- text

Noel, J.:—This is an appeal, pursuant to leave, under section 58 of the Excise Tax Act, R.S.C. 1952, c. 100, from the majority declaration of the Tariff Board, dated May 15, 1961, in appeal number 528, that certain articles called ‘‘rock

Robert James Randolph Russell v. Clifford W. Tanner, Appellants,, [1963] CTC 280, 63 DTC 1177 -- text

CATTANACH, J.:—These are appeals from judgments of the Tax Appeal Board ((1962), 29 Tax A.B.C. 246, 254) dismissing appeals by the appellants from assessments of income tax for the taxation years 1955, 1956, 1957 and 1958. As the same problem is involved

Derby Development Corporation v. Minister of National Revenue, [1963] CTC 269 -- text

KEARNEY, J.:—This is an appeal from a decision of the Tax Appeal Board, dated January 8, 1962 (28 Tax A.B.C. 221), dismissing the appellant’s appeal from a re-assessment of its declared income for its taxation year 1959, notice of which was given by the Minister on August 23, 1960, and whereby losses incurred in the construction and sale of homes, amounting to $134,667, during the years 1956 to 1959, inclusive, and claimed in full as deductions by the taxpayer, were disallowed to the extent of 25% thereof or $33,667.

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