Canada v. Benoit, 2003 DTC 5366, 2003 FCA 236 -- text
Taxpro Professional Corporation v. Canada (National Revenue), 2011 DTC 5036 [at at 5635], 2011 FC 224 -- text
Vina-Rug (Canada) Limited v. Minister of National Revenue, 68 DTC 5021, [1968] CTC 1, [1968] SCR 193 -- text
ABBOTT, J. (all concurring) :—The issue in this appeal is whether the appellant company was ‘‘associated’’ during the 1961 and 1962 taxation years with a second company, Strad- wick’s Limited, within the meaning ‘of Section 39 of the Income Tax
Edwards v. Canada, 2003 DTC 5667, 2003 FCA 378 -- text
Khan v. The Queen, 2009 DTC 804, 2009 TCC 248 (Informal Procedure) -- text
Sarophim v. The Queen, 2012 DTC 1124 [at at 3131], 2012 TCC 92 (Informal Procedure) -- text
Naguib v. Canada, 2004 DTC 6082, 2004 FCA 40 -- text
GlaxoSmithKline Inc. v. The Queen, 2008 DTC 3957, 2008 TCC 324 -- text
Minister of National Revenue v. Benaby Realties Limited, 67 DTC 5275, [1967] CTC 418, [1968] S.C.R. 12 -- text
JUDSON, J. (all concur) :—The sole question in this appeal is whether a profit of $263,864.03 was properly assessed in the taxation year 1955. The judgment of the Exchequer Court holds that this profit must be excluded in assessing the profits for the