Ben Lechter v. Minister of National Revenue, [1964] CTC 510, 64 DTC 5311 -- text

DUMOULIN, J.:—The appellant, Mr. Ben Lechter, a successful Montreal wholesale jeweller, appeals from the decision of the Minister of National Revenue, dated October 16, 1962, in respect of the income tax re-assessment for the taxation year ended December 31, 1956.

Edwin Meredith Ferriss v. Minister of National Revenue, [1964] CTC 503, 64 DTC 5311 -- text

THURLOW, J.:—This is an appeal from a judgment of the Tax Appeal Board which dismissed the appellant’s appeal from re-assessments of income tax for the year 1957 and 1958. During both of these years the appellant was a partner in the business carried on under the name of L. T. Ferriss Hardware referred to in the judgment in the appeal of. Alger B. Ferriss rendered concurrently herewith and the issues in this appeal are the same as those involved in Alger B. Ferriss case.

David E. Ferriss v. Minister of National Revenue, [1964] CTC 502, 64 DTC 5310 -- text

THURLOW, J.:—This is an appeal from a judgment of the Tax Appeal Board which dismissed the appellant’s appeal from a re-assessment of income tax for the year 1957. During that year the appellant was a partner in the business carried on under the name of L. T. Ferriss Hardware referred to in the judgment in the appeal of Alger B. Ferriss rendered concurrently herewith and the issues in this appeal are the same as those involved in the Alger B. Ferriss case with respect to the 1957 taxation year.

Alger B. Ferriss v. Minister of National Revenue, [1964] CTC 491, 64 DTC 5304 -- text

Thurlow, J.:—This is appeal from a judgment o the Tax Appeal Board: which dismissed the appellant’s appeal from reassessments of income tax r.the,years, 1957 and 1958. During both, of these years the appellant, as.a partner in. a business carried on under the

The Deputy Attorney-General of Canada v. Eric Brown, [1964] CTC 483, [1964] DTC 5296 -- text

MARTLAND, J. (all concur) : — Two applications have been made by the Deputy Attorney-General of Canada (hereinafter referred to as ‘‘the applicant’’) for leave to appeal to this Court, pursuant to Section 41 of the Supreme Court Act.

Talon Exploration Ltd. v. Minister of National Revenue, [1964] CTC 468, 64 DTC 5281 -- text

GIBSON, J.:—This is an appeal from the judgment of the Tax Appeal Board, 29 Tax A.B.C. 150, which dismissed the appel- lant’s appeal from a re-assessment made by the Minister for the 1957 taxation year wherein the Minister included in the appellant’s

Joseph Simard & Cie, Ltee v. Minister of National Revenue, [1964] CTC 461, 64 DTC 5289 -- text

DUMOULIN, J.:—La compagnie Joseph Simard Limitée interjette appel d’une cotisation d’impôt sur les dons, émise le 4 août 1958, par laquelle l’intimé lui réclamait une taxe de $353,980.76, et aussi d’une recotisation pour mêmes motifs, datée le 5 mai 1962, imposant

Tvrtko Hardy Marun and Reginald James Minogue v. Her Majesty the Queen, [1964] CTC 444, 64 DTC 5238 -- text

CATTANACH, J.:—These are Petitions of Right whereby the respective suppliants pray, in addition to other relief, the return of certain goods which are in possession of the Crown as having been forfeited under the provisions of the Customs Act, R.S.C.

H. Richard Whittall v. Minister of National Revenue, [1964] CTC 440, 64 DTC 5279 -- text

GIBSON, J.:—This is an appeal from the re-assessments by the Minister of National Revenue in respect of the income of the appellant for the taxation years 1952, 1953 and 1954, whereby the taxable income was assessed respectively at $71,823.85, $17,820.94 and $45,763.69.

Pages

Subscribe to Tax Interpretations RSS