Austin v. R., 99 DTC 710, [1999] 2 CTC 2270 (TCC) -- text
Bowman T.C.J.:
This appeal is from an assessment for the 1989 taxation year whereby the appellant was denied a deduction under paragraph 8(1 )(c) of the Income Tax Act relating to a clergyman’s residence.
Audet v. The Queen, 2012 DTC 1208 [at at 3556], 2012 TCC 162 (Informal Procedure) -- text
Sutcliffe v. The Queen, 2006 DTC 2076, 2005 TCC 812 -- text
Kruger Wayagamack Inc. v. The Queen, 2015 DTC 1112 [at at 667], 2015 TCC 90, aff'd 2016 FCA 192 -- text
Jennings v. The Queen, 2015 DTC 1117 [at at 743], 2015 TCC 96 (Informal Procedure) -- text
Atlantic Sugar Refineries v. Minister of National Revenue, 49 DTC 602, [1949] S.C.R. 706 -- text
Canadian General Electric Company v. The Minister of National Revenue, 61 DTC 1300, [1961] CTC 512, [1962] S.C.R. 3, [1961] CTC 511 -- text
MARTLAND, J.:—The facts involved in this appeal, which are not in dispute, have been fully and completely stated in the judgment of the Exchequer Court and are here restated.
Chan v. The Queen, 2001 DTC 5570, 2001 FCA 302 -- text
1392644 Ontario Inc. (Connor Homes) v. Canada (National Revenue), 2013 FCA 85 -- text
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