Harry O. Waffle v. Minister of National Revenue, [1968] CTC 572, 69 DTC 5007 -- text

CATTANACH, J.:—This is an appeal from an assessment to income tax by the Minister whereby an amount of $1,384 was added to the income of the appellant for his 1964 taxation year.

The amount of $1,384 represents the cost of a vacation trip for the appellant and his wife from Toronto, Ontario to Fort Lauderdale, Florida from where they embarked on a Caribbean cruise, and return to Toronto. It was agreed between the parties that the foregoing sum represents the cost of such trip to Ford Motor Company of Canada Limited (hereinafter referred to as "Ford”).

Minister of National Revenue v. Crossley Carpets (Canada) Limited, [1968] CTC 570, 69 DTC 5015 -- text

GIBSON, J.:—The issue for decision is whether or not in its taxation years 1961 and 1962 the respondent Crossley Carpets (Canada) Limited is liable to pay an additional 15 per cent income tax pursuant to Section 110B of the Income Tax Act,

In Re Modern Film Distributors Ltd. Et Al., [1968] CTC 549, 68 DTC 5349 -- text

Dryer, J.:—Many of the paragraphs of the affidavit of Archie Frank Hale do not meet the requirements of M.R. 523 and I have consequently disregarded them. Some paragraphs of the affidavit are statements of inferences drawn by the deponent from matters said

Wolf Von Richthofen v. Minister of National Revenue, [1968] CTC 544, 68 DTC 5346 -- text

JACKETT, P.:—This is an appeal from a decision of the Tax Appeal Board dismissing the appellant’s appeal from a reassessment of the appellant’s liability for income tax under Part I of the Income Tax Act for the 1962 taxation year.

Alpine Furniture Company Limited and Monte Carlos Furniture Company Limited v. M.N.R., [1968] CTC 532, 68 DTC 5338 -- text

CATTANACH, J.:—The appeals of the two appellants named in the above styles of cause against their respective assessments to income tax in respect of their 1964 taxation years were conveniently heard together by consent because both appeals arose from the identical

H. A. Roberts Ltd. v. Minister of National Revenue, [1968] CTC 517, 68 DTC 5330 -- text

SHEPPARD, D.J.:—This appeal by the taxpayer, H. A. Roberts Ltd. from an assessment by the Minister of National Revenue is on the contention that the sums received by the taxpayer in 1963 on the cancellation of mortgage agencies, namely $73,633.72 received from

Pages

Subscribe to Tax Interpretations RSS