Jordans Rugs Ltd., Jordans (Victoria) Ltd., Jordans (Vancouver) Ltd., Jordans (New Westminster) Ltd., Jordans (Calgary) Ltd., Jordans (Edmonton) Ltd., Jordans (Lethbridge) Ltd. And Jordans Interiors Ltd. v. Minister of National Revenue, [1969] CTC 445, 69 DTC 5290 -- text

SHEPPARD, D.J.:—Each appellant corporation appeals from the direction of the Minister under Section 138A(2) of the Income Tax Act that the corporations be deemed to be associated”, and under Section 138A(3) (b) (ii) seeks to vacate that

Freda Feldstein v. Minister of National Revenue, [1969] CTC 441, 69 DTC 5298 -- text

SHEPPARD, D. J.:—This appeal is from an assessment by the Minister of National Revenue for the years 1962 and 1963, on the ground that the sums realized were not taxable income of the appellant but capital. The opening alleges that the sums from

Issie Feldstein v. Minister of National Revenue, [1969] CTC 435, 69 DTC 5295 -- text

SHEPPARD, D. J.:—This appeal is from the re-assessment by the Minister of National Revenue for the taxation year 1962 by adding two items known as the Comox Street Property and the Main Street Property to the appellant’s taxable income. The appellant contends

‘Robert Adolphe Stanley v. Minister of National Revenue, [1969] CTC 430, 69 DTC 5286 -- text

SHEPPARD, D.J.:—This appeal is from the Tax Appeal Board on the ground that the assessment of the appellant was in error in assessing him for the year 1963 in respect of $31,066.32 as the recovery of a capital cost allowance.

Elgin Cooper Realties Ltd. v. Minister of National Revenue, [1969] CTC 426, 69 DTC 5276 -- text

JACKETT, P.:—This is an appeal from the appellant’s assessment under Part I of the Income Tax Act for its 1962 taxation year. The sole question to be decided is whether a profit of $78,403.37 realized by the appellant on the sale of

J .‘ D. Stirling LTD v. Y; Minister of National Revenue:, [1969] CTC 418, 69 DTC 5259 -- text

J ACKETT, P.:—This is an appeal from a re-assessment of the appellant under Part I of the Income Tax Act for the 1961 taxation year. The sole question in issue is whether the respondent was wrong in including in the appellant’ s

Avril Holdings Ltd. v. Minister of National Revenue, [1969] CTC 397, 69 DTC 5263 -- text

Kerr, J.:—This is an appeal from a decision of the Tax Appeal Board which upheld the Minister’s re-assessment of the appellant’s income tax for its 1962 taxation year. In making that assessment the Minister added to the appellant’s reported income the sum

Estate of Andrew Lawrence Carper v. Minister of Finance of British Columbia,, [1969] CTC 388 -- text

MACDONALD, J.:—This is an appeal pursuant to Section 44 of the Succession Duty Act, R.S.B.C. 1960, c. 372, by the executor of the estate of Andrew Lawrence Carper from the decision of the Minister of Finance whereby he affirmed an assessment of duty under the statute in the sum of $21,332.52.

Ruth Gibb, Successor to the Estate of Edward Douglas Gibb v. Treasurer of Ontario, [1969] CTC 381 -- text

Keith, J.:—In this matter counsel representing the estate of the late Edward Douglas Gibb who died on or about May 26, 1965 and counsel representing the Treasurer of Ontario have taken widely divergent positions in making submissions with respect to the

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