Wilbour Lee Craddock and Stanley Curtis Atkinson v. Minister of National Revenue, [1969] CTC 566, 69 DTC 5369 -- text

JUDSON, J. (all concur) :—The problem in these two appeals is essentially the same as that in the Smythe appeals [[1969] C.T.C. 558]. Wilbour Lee Craddock and Stanley Curtis Atkinson were the principal shareholders in a private Saskatchewan corporation

Rolland Fortier v. Minister of National Revenue, [1969] CTC 554, 69 DTC 5354 -- text

N OËL, J.:—The respondent, by motion, moves that this Court quash the appellant’s notice of appeal, dated May 15, 1969, by which the latter appealed from an assessment for the year 1964, confirmed by a decision of the Tax Appeal Board, dated January

Susan Hosiery Limited v. Minister of National Revenue, [1969] CTC 533, 69 DTC 5346 -- text

GIBSON, J.:—This is an income tax appeal against re-assessments for the taxation years 1964 and 1965 of the appellant company Susan Hosiery Limited arising out of the disallowance of a deduction of $238,000 described in the re-assessments as “contributions made to

Deputy Minister of Revenue for the Province of Quebec v. Terres Noires Ltee, [1969] CTC 529 -- text

COUSINEAU, J.:—La Cour, sur le mérite de la présente cause, après avoir entendu les parties par leurs procureurs respectifs, ainsi que leur témoignage, avoir examiné la procédure, les pièces produites, entendu la preuve, et sur le tout délibéré :

City Parking Properties and Development Limited v. Minister of National Revenue, [1969] CTC 508, 69 DTC 5332 -- text

KERR, J.:—This is an appeal from an assessment of income tax for the appellant’s 1965 taxation year. The question for determination is what part of the cost of certain property in Toronto, consisting of land and an office building, purchased by the appellant, can reasonably be regarded as being the ‘ consideration ’ ’ for ‘ disposition” of the building for the purposes of Section 20(6)

(g) of the Income Tax Act.

Minister of National Revenue v. Joichi G. Kato, Rupert M. Clare, Ian D. Dickens, Estate of James Gibson, Charles Lefebvre,, [1969] CTC 492, 69 DTC 5308 -- text

CATTANACH, J.:—These are appeals from a decision of the Tax Appeal Board, [1968] Tax A.B.C. 700, whereby the appeals of the eleven respondents named in the above styles of cause with respect to their respective assessments to income tax for their 1964

Adanac Apparel Ltd. v. Minister of National Revenue, [1969] CTC 484, 69 DTC 5300 -- text

SHEPPARD, D.J.:—This appeal is by Adanac Apparel Ltd. against an assessment for the years 1965 and 1966 alleged to be in error, aS made on the basis that 715 Fisgard Street, Victoria, B.C. was acquired for the business of dealing in land or

A.I.M. Steel Limited v. Minister of National Revenue, [1969] CTC 479, 69 DTC 5305 -- text

SHEPPARD, D.J.:—This appeal is by A.I.M. Steel Limited against the re-assessment by the Minister wherein an income tax of $2,507.75 was levied for the year 1965. The issue is whether a fence business was carried on during the years 1960 and 1961 by

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