The Alberta Gas Trunk Line Company Limited v. Minister of National Revenue, [1970] CTC 452, 70 DTC 6300 -- text

SHEPPARD, J.:—This appeal is against a re-assessment (dated January 30, 1968) of the Minister of National Revenue for the taxation year 1966 by the appellant alleging that the assessment erred as follows:

Estate of Percival Archibald Woodward. v. Minister of Finance of British Columbia, [1970] CTC 444 -- text

MUNROE, J.:—Application by the executors of the estate of Percival Archibald Woodward, deceased, for an order to show cause why a writ of certiorari should not issue to remove into this court a certain record of determination made by the Minister

Re the Royal Bank of Canada and the Attorney-General of Canada, [1970] CTC 440 -- text

LACOURCIÈRE, J.:—This application is an appeal from the report of G. W. Dunn, Master, dated October 20, 1969, on a reference herein directed by the Senior Master, as a result of interpleader proceedings instituted by the garnishee herein. The learned Master

Donald Preston McLaws v. Minister of National Revenue, [1970] CTC 420, 70 DTC 6289 -- text

KERR, J.:—This is an appeal with respect to income tax assessments under the Income Tax Act for the appellant’s 1963, 1964 and 1965 taxation years. It relates to amounts of $18,750 paid by the appellant in each of those years to the

Minister of National Revenue v. F, David Malloch Memorial Foundation,, [1970] CTC 414, 70 DTC 6285 -- text

Ritchie, J. (all concur) :—This is an appeal from a judgment of the Exchequer Court of Canada which had allowed an appeal from an assessment made by the Minister of National Revenue under the Estate Tax Act, S.C. 1958, c. 29,

Minister of National Revenue v. William Panko, [1970] CTC 397, 70 DTC 6247 -- text

Kerr, J.:—This is an appeal by the Minister of National Revenue (hereinafter sometimes called ‘‘the Minister’’) from a judgment of the Tax Appeal Board dated May 27, 1969, which allowed the taxpayer’s appeal from six assessments of penalties by the Minister

Allarco Developments Ltd. (Formerly Paris Investments Ltd.) v. Minister of National Revenue, [1970] CTC 390, 70 DTC 6274, rev'd on other grounds [1972] CTC 172, 72 DTC 6154 -- text

JACKETT, P.:—This is an appeal from the assessment of the appellant under Part I of the Income Tax Act for the 1964 taxation year whereby there was included in the appellant’s income for that year an amount of $669,900 as being a

Rudolph P. Cohen, Liquidator or G.M.G. Building Corporation Limited(in Voluntary Liquidation) v. Minister of National Revenue, [1970] CTC 386, 70 DTC 6244 -- text

GIBSON, J.:—This is an appeal from a re-assessment for the taxation year 1964 by which the respondent added to the income of the appellant the amount of $16,734.84, described in the form T7W-C accompanying the re-assessment as profit on the sale of 2.021

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