Morgan Securities Limited v. Minister of National Revenue, [1967] CTC 1, 67 DTC 5015 -- text

GIBSON, J.:—In this appeal the quantum of the 1959 and the 1961 taxable income of the appellant is in dispute. The appellant claims that it is entitled to deduct, in computing its 1959 income, a loss of $157,189.97 arising out of the sale for $43,313.33

Canadian Western Trust Company v. The King, 2023 TCC 17, aff'd 2024 FCA 108 -- text

Clorox Company of Canada, Ltd. v. Chloretec S.E.C, 2023 FCA 25 -- text

Kaur v. Canada (Citizenship and Immigration), 2023 FC 202 -- text

Oghenetega v. Canada (Citizenship and Immigration), 2023 FC 178 -- text

Clorox Company of Canada, Ltd. v. Chloretec S.E.C., 2023 FC 174 -- text

Pages

Subscribe to Tax Interpretations RSS