Vernon C. Hale v. Minister of National Revenue, [1968] CTC 457, 68 DTC 5326 -- text

CATTANACH, J.:—The Minister, in assessing the appellant to income tax in his 1963 taxation year, included, as part of the appellant’s income, an amount of $388 paid to him by his employer, The Canada Life Assurance Company (hereinafter referred to as Canada

Palmer-McLellan (United) Ltd. v. Minister of National Revenue, [1968] CTC 448, 68 DTC 5304 -- text

THURLOW, J.:—This is an appeal from a Judgment of the Tax Appeal Board* [1] which dismissed the appellant’s appeal from an assessment of income tax for the year 1963. The issue raised is the right of the appellant, in computing its

J. Harold Wood v. Minister of National Revenue, [1968] CTC 446, 68 DTC 5291 -- text

PIGEON, J.:—The appellant is a solicitor who, over a period of years, acquired some 13 mortgages, usually at a substantial discount. He was assessed for income tax in 1962 on $700 being the amount of a discount on one of these mortgages that he collected

In the Matter of the Dominion Succession Duty Act and Amendments Thereto and in the Matter of the Administrators, Estate of Duke Osolin E Topor, [1968] CTC 434, 68 DTC 5263 -- text

THURLOW, J.:—This is an application for an order directing the Royal Bank of Canada to pay to the Sheriff of the Judicial District of Montreal the sum of $33,508.79 standing to the credit of a savings account in a branch of the bank in Montreal in

The John Bertram and Sons Company Limited v. Her Majesty the Queen, [1968] CTC 391, 68 DTC 5246 -- text

CATTANACE, J.:—The suppliant, by its Petition of Right, seeks to recover from the respondent the sum of $451,735.48 paid by it to the Receiver General of Canada on three divers dates in the years 1965 and 1966 by way of sales tax under the

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