Laverne Clifford Kindree v. Minister of National Revenue, [1964] CTC 386, 64 DTC 5248 -- text

CATTANACH, J.:—This is an appeal from a decision of the Tax Appeal Board (30 Tax A.B.C. 333) dated December 27, 1962 whereby the assessment by the Minister of the appellant’s liability under the Income Tax Act, R.S.C. 1952, c. 148, for

Minister of National Revenue v. The Portage La Prairie Mutual Insurance, [1964] CTC 377, 64 DTC 5233 -- text

JACKETT, P.:—This is an appeal by the Minister of National Revenue from a decision of the Tax Appeal Board allowing an appeal by the respondent from its assessment under the Income Tax Act for the 1958 taxation year. The only question

Montreal Trust Company Et Al. (Executors or Robert Newmarch Hickson, Deceased) v. Minister of National Revenue, [1964] CTC 367 -- text

CARTWRIGHT, J. (all concur) :—This is an appeal from a judgment of Dumoulin, J. pronounced on August 6, 1963, dismissing the appellants’ appeal from the confirmation of an assessment of estate tax made by the respondent in respect of the death of the late Robert Newmarch Hickson.

There is no dispute as to the facts.

Gordon William Lade v. Minister of National Revenue, [1964] CTC 305, 64 DTC 5189 -- text

Noel, J.:—This is an appeal from a decision of the Tax Appeal Board (30 Tax A.B.C. 897) confirming the addition by a reassessment of the Minister to the appellant’s income for the 1959 taxation year of an amount of $315 paid by the appellant’s

Abe Posluns, Joseph A. Posluns, Samuel Posluns and Louis H. Posluns v. Minister of National Revenue, [1964] CTC 278, 64 DTC 5168 -- text

CATTANACH, J.:—These are appeals against the appellants’ assessments under the Income Tax Act, R.S.C. 1952, c. 148, for their respective 1954, 1955 and 1956 taxation years. There are twelve appeals, one for each of the three taxation years by the four appellants and since the identical problem is involved in each, the appeals were heard together. The appeals relate to amounts realized as discounts on mortgages purchased individually by the four appellants.

Pages

Subscribe to Tax Interpretations RSS