Bathville Corporation Limited Et Al. v. Robert D. Atkinson Et Al., [1964] CTC 577, 64 DTC 5330 -- text

Porter, C.J.O. (for the Court) :—This is an appeal from a judgment of the Honourable Mr. Justice Moorhouse dated March 25, 1964 pursuant to leave granted by the by the Honourable Mr. Justice Landreville by order dated April 30, 1964 whereby the learned

Skuttle Mfg. Co. Of Canada Ltd., B. D. Wait Co. Limited, Carrying on Business Under the Firm Name and Style of Wait-Skuttle Company and the Said Wait-Skuttle Company v. Her Majesty the Queen, [1964] CTC 572 -- text

JUDSON, J. (all concur) :—This is a claim by the Crown for sales tax on humidifiers sold by the manufacturer, Shuttle Mfg. Co. of Canada Ltd., to a number of manufacturers of furnaces. The claim was allowed at $42,292.51, together with interest and

Louis J. Harris v. Minister of National Revenue, [1964] CTC 562, 64 DTC 5332 -- text

THURLOW, J.:—This is an appeal from a Judgment of the Tax Appeal Board (31 Tax A.B.C. 113) dismissing the appellant’s appeal from an assessment of income tax for the year 1960. In his return for that year the appellant claimed a deduction of

J. & R. Weir, Limited v. Minister of National Revenue, [1964] CTC 529 -- text

DUMOULIN, J.:—J. & R. Weir Limited, an important Montreal concern, dealing in marine and industrial works, appeals from the Tax Appeal Board’s decision, dated April 29, 1963 ( (1963), 32 Tax A.B.C. 33), which affirmed re-assessments by the Minister of National

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.

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