Phillips v. R., [1998] 2 C.T.C. 2949 -- text

Rowe T.C.J. (Orally):

1 HIS HONOUR: The appellant appeals with respect to an assessment of income tax for the 1994 taxation year. In that particular year, in computing income, the appellant deducted the amount of $8,345.00 as a business loss, and claimed a rental loss in the sum of $10,147.00.

2 The deduction of the business loss arose from a claim relating to the appellant's investment in a purported business connected with a band known as “Big Medicine”.

Hunter v. R., [1997] 3 C.T.C. 3104 -- text

Bonner T.C.J.:

1 This is an appeal from an assessment under the Income Tax Act (“Act”) for the Appellant's 1994 taxation year. In his return of income for that year the Appellant elected to report a capital gain on property (the Leland Hotel) owned by him on February 22, 1994. The designated proceeds of disposition were $150,000, the adjusted cost base was $61,000 and the elected capital gain was $89,000. The taxable capital gain, being 75% of $89,000 was $66,750.

Felray Inc. v. R., 97 D.T.C. 5349, [1998] 2 C.T.C. 4 -- text

Rouleau J.:

1 This is an appeal from a Tax Court of Canada decision dismissing the plaintiff's appeal concerning a notice of reassessment issued by the Minister of National Revenue (“the MNR”) for the 1980 location year in relation to the appropriation of funds of a corporation controlled by the plaintiff.

Saunders v. R., [1998] 2 C.T.C. 3196, 98 D.T.C. 3390 -- text

Bowman T.C.J.:

1 These appeals were heard together and concern assessments for the 1991, 1992 and 1993 taxation years. The issue is the deductibility of losses sustained by the appellants from the rental of property.

2 Marvin Saunders is an engineer with INCO Limited, Judith Saunders, his wife, teaches school. Their combined annual incomes in the years in question were over $100,000.

Burnet v. Minister of National Revenue, [1997] 3 C.T.C. 192, 97 D.T.C. 5346 -- text

Tremblay-Lamer J.:

1 The Applicant seeks an Order of mandamus compelling the Respondent to issue to her, pursuant to subsection 152(1.1) of the Income Tax Act (Canada),[FN1: <p>R.S.C. 1952, c. 148, as amended.</p>] a Notice of Determination of Loss for her 1987 taxation year in an amount not less than $260,460.

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