Hudon v. R., [1997] 3 C.T.C. 2983 -- text
Archambault T.C.J.:
Archambault T.C.J.:
Bowie T.C.J.:
1 This is an appeal from the reassessment of the Appellant for income tax for the 1980 taxation year. The Appellant claimed to be entitled to take a business loss of $20,005.00 into account in calculating his income for that year. By the reassessment under appeal the Minister of National Revenue has disallowed that loss to the extent of $18,005.46.
Rothstein J.:
1 This is an appeal from a June 7, 1990 decision of the Canadian International Trade Tribunal finding that the plaintiff did not qualify for a reduced rate of federal sales tax on the sale of “Ultraline” shelving for supermarkets.
Sarchuk T.C.J.:
Sarchuk T.C.J.:
1 The appeals of Jomanic-Can Inc. (the corporation) and Georges D'Aoust (D'Aoust) from assessments of tax with respect to their 1991, 1992 and 1993 taxation years were heard together on common evidence.
Tremblay T.C.J.:
1 This appeal was heard under the informal procedure at Québec, Quebec, on January 16, 1997.
Rip T.C.J.:
Mogan T.C.J.:
Tardif T.C.J.:
1 These are appeals from a decision denying the appellant entitlement to a tax credit for a person suffering from a severe and prolonged mental or physical impairment for the 1991 and 1992 taxation years. The appeals were heard at Québec, Quebec.
Brulé T.C.J.: