Tara Exploration and Development Company Limited v. Minister of National Rev Enue _, [1970] CTC 557, [1970] DTC 6370 -- text

JACKETT, P.:—This is an appeal from assessments under Part I of the Income Tax Act for the 1965 and 1966 taxation years, in which the question is whether the respondent erred in assessing the appellant, a company incorporated under the

Assessor And. Collector of Probate and Succession Duties v. Estate of Frank Nourse Youngman, [1970] CTC 543 -- text

Per Maclean, J.A., concurred in by Nemetz, J.A.: There was no conflict between Section 115 and Section 149 but, if there was, then Section 149, which appeared later in the statute, dealt with a specific matter,

Larry Smith v. Minister of National Revenue, [1970] CTC 529, 70 DTC 6344 -- text

DUMOULIN, J.:—This is an appeal from the assessment made by the respondent with respect to the appellant’s 1964, 1965 and 1966 taxation years, adding to Larry Smith’s personal income for the above-mentioned fiscal periods revenues of $14,418.29, $14,337.81 and $16,134.21,

Minister of National Revenue v. Dame Rene Fortin, Testamentary Executrix of the Estate of Rene Fortin, [1970] CTC 521, [1970] DTC 6339 -- text

WALSH, J.:—This is an appeal from a judgment of the Tax Appeal Board, dated April 1, 1969, maintaining in part the appeal of respondent from a notice of re-assessment dated March 28, 1968 of the income of the late Rene Fortin for the 1963

Minister of National Revenue v. Estate of Cunnumparathu Abraham Zachariah, [1970] CTC 498, 70 DTC 6326 -- text

WALSH, J.:—This action came on for hearing in the form of a Special Case involving a question of law, the decision of which will have the effect of settling the issue. The facts as set out in the Special Case are that the late Cunnumparathu Abraham

Minister of National Revenue v. Midwest Hotel Company Limited, [1970] CTC 482, 70 DTC 6316 -- text

WALSH, J.:—This is an appeal from a decision of the Tax Appeal Board dated April 8, 1970, whereby it allowed an appeal from an assessment made under the Income Tax Act for the respondent’s 1963 taxation year. There is no dispute as

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