Brown v. R., [1975] C.T.C. 611, 75 D.T.C. 5433 -- text

Cattanach, J:

1 These are appeals from a decision of the Tax Review Board which had dismissed the appeals by the plaintiff herein to that Board from the assessments to income tax by the Minister of National Revenue in respect of the plaintiff's income for his 1969, 1970 and 1971 taxation years.

2 In the three taxation years the plaintiff, in computing his income, had deducted farming losses in the respective amounts of $16,288.54, $19,752.62 and $18,576.80.

Lazare Investments Corp. v. Minister of National Revenue, [1975] C.T.C. 2036, 75 D.T.C. 26 -- text

The Chairman (orally: December 11, 1974):

1 This is an appeal by Lazare Investments Corporation against the reassessment of the Minister of National Revenue for the 1972 taxation year.

2 The question to be determined is whether or not the appellant company is carrying on an active business under section 125 of the 1972 Act. All the requirements of the section have been complied with and the only issue is whether the appellant carried on an “active business”.

Bains v. Minister of National Revenue, [1975] C.T.C. 2178, 75 D.T.C. 135 -- text

The Chairman (orally: April 9, 1975):

1 This is an appeal under the former Estate Tax Act by Swarn Kaur Bains and the Canada Trust Company, executors of the estate of Jogindar Singh Bains, who died on or about October 30, 1970.

2 Probate was granted in the Supreme Court of British Columbia to the aforementioned executors on January 27, 1971.

Kruger Pulp & Paper Ltd. v. Minister of National Revenue, [1975] C.T.C. 2323, 75 D.T.C. 245 -- text

The Assistant Chairman:

1 These are the appeals of Kruger Pulp & Paper Limited from income tax assessments in respect of the appellant's 1966, 1967, 1968 and 1969 taxation years, which, for the sake of clarity, were divided by the appellant into two separate issues.

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