Hennessey v. Canada, 2014 DTC 5065 [at at 6901], 2014 FC 286 -- text
Moll v. The Queen, 2008 DTC 3420, 2008 TCC 234 (Informal Procedure) -- text
Bell v. Canada, 2002 DTC 6780, 2002 FCA 7 -- text
Aylward v. R., 97 DTC 1097, [1997] 2 CTC 2748 (TCC) -- text
Margeson T.C J .:
It was agreed at the outset that evidence given in one case would be considered in the other where relevant.
Minerals Limited v. The Minister of National Revenue, 58 DTC 1154, [1958] CTC 236, [1958] S.C.R. 490 -- text
MARTLAND, J. (all agree) :—This is an appeal from a judgment of Thurlow, J., in the Exchequer Court, dismissing the appellant’s appeal from the Income Tax Appeal Board, which had dismissed an appeal from the income tax assessment of the appellant for the
Rona Inc. (anciennement Groupe Rona Dismat Inc.) c. La Reine, 2003 DTC 979, 2003 TCC 121 -- text
Bakorp Management Ltd. v. Canada, 2014 DTC 5063 [at at 6870], 2014 FCA 104 -- text
Global Video Inc. v. The Queen, 2008 DTC 2621, 2005 TCC 742 (Informal Procedure) -- text
Minister of National Revenue v. Foreign Power Securities Corporation Ltd., 67 DTC 5084, [1967] CTC 116, [1967] S.C.R. 295 -- text
CARTWRIGHT, J. (all concur) :—This is an appeal from a judgment of Noël, J. allowing the respondent’s appeal from the assessments of income tax made for its 1957 and 1958 taxation years.