Frederick Burton, Malcolm Swartz and Martin Goldsmith, Executors or the Estate of Harry M. Schiller v. Minister of National Revenue, [1968] CTC 233, 68 DTC 5164 -- text

JACKET, P.:—This is an appeal from. the assessment under the Estate Tax Act of the estate of Harry M. Schiller, who died on May 23, 1965, resident and domiciled in Ontario. The only question involved in the appeal is whether the

The Royal Trust Company, James Reid Sare, James Gemmill Wilson, Executors or the Estate of Agnes Henry Wilson v. Minister of National Revenue, [1968] CTC 224, 68 DTC 5158 -- text

FAUTEUX, J. (all concur) :—This is an appeal from a Judgment of the Exchequer Court of Canada, dismissing appellants’ appeal from an estate tax re-assessment made by the Minister of National Revenue and levying a tax in the net amount of $250,390.60 in

Russel P. Leveque v. Minister of National Revenue, [1968] CTC 179, 68 DTC 5116 -- text

CATTANACH, J.:—This is an appeal from a decision of the Tax Appeal Board ( (1959), 23 Tax A.B.C. 33) dated October 6, 1959, whereby the appellant’s appeals against his assessments to income tax for his 1949, 1950 and 1951 taxation years were dismissed.

Vaughan Construction Company Limited v. M.N.R.; M.N.R. v. Vaughan Construction Company Limited, [1968] CTC 165, 68 DTC 5099 -- text

THURLOW, J.:—These appeals are from judgments* [1] of the Tax Appeal Board which dismissed the taxpayer’s appeal from a re-assessment of income tax for the year 1954 and allowed its appeal from a re-assessment of tax for the year 1957. In

Metropolitan Taxi Limited v. Minister of National Revenue, [1968] CTC 163, 68 DTC 5098 -- text

THE Chief JusTICE (all concur) :—This is an appeal from a judgment of Cattanach, J. pronounced on February 28, 1967, dismissing the appellant’s appeal and allowing the respondent’s cross-appeal from a decision of the Chairman of the Tax Appeal Board and

John S. Davidson v. Minister of National Revenue., [1968] CTC 136, 68 DTC 5086 -- text

SHEPPARD, D.J.:—The appellant, John 8. Davidson, contends that the sum of $67,546.74 received in 1959 from the sale of shares in Combined Estates Ltd. (formerly Welfar Holdings Ltd.) was capital, and the Minister was in error in including that amount in the

Minister of National Revenue v. Time Motors Limited, [1968] CTC 131, 68 DTC 5081 -- text

GIBSON, J.:—This appeal, from a judgment of the Tax Appeal Board dated December 23, 1966 (42 Tax A.B.C. 400), relates to re-assessments dated May 7, 1965 in respect of the taxation years of the respondent ended June 30, 1961, 1962, and 1963 whereby

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