Doyle v. MNR, 70 DTC 6251, [1970] CTC 365 (Ex.Ct.), briefly aff'd 78 DTC 6027, [1978] CTC 530, 1 S.C.R. 547 -- text

GIBSON, J.:—The issue in this appeal is whether or not the receipt by the appellant in 1950 of 490 shares of Boon Strachan Coal Company Limited, which the parties agree had a value of $200,000, was income from a business within the meaning of

Normac Investments Ltd. v. Minister of National Revenue, [1970] CTC 325, 70 DTC 6234 -- text

Abbott, J. (orally for the Court) :—We are all in agreement with the conclusion reached by the learned trial judge that the profit in issue on this appeal was a gain made in carrying out a scheme for profit making and was income from a business

Bestpipe Limited v. Press-Seal Corporation of Canada, Limited, Appellants,, [1970] CTC 310, 70 DTC 6226 -- text

CATTANACH, J.:—These are appeals by the appellants named in the above styles of cause from assessments to income tax. For the purposes of convenience the first named appellant will be hereinafter referred to as Bestpipe and the second named appellant as

Alfred C. Campeau & Michael Petritz v. Minister of National Revenue, [1970] CTC 306, 70 DTC 6223 -- text

GIBSON, J.:—The appellants in these two appeals tried together appeal against re-assessments for income tax for the taxation year 1965, whereby $27,000 was added to the income of the appellant Campeau and $30,000 was added to the income of the appellant

Ottawa Valley Power Company v. Minister of National Revenue, [1970] CTC 305, 70 DTC 6223 -- text

Abbott, J. (orally for the Court) :—We are all of opinion that the expenditure of $1,932,150 made by the Hydro-Electric Power Commission of Ontario was not an expenditure which can be taken into account in determining the capital cost to appellant of its

Minister of Mines for the Province of Ontario v. Rio Algom Mines Ltd., [1970] CTC 299 -- text

MARTLAND, J. (all concur) :—This is an appeal by the Minister of Mines for the Province of Ontario from a judgment of the Court of Appeal for Ontario, together with a cross-appeal by Rio Algom Mines Limited, hereinafter referred to as ‘the Company’’,

Estate of Frank Nourse Youngman v. Minister of Finance of British Columbia, [1970] CTC 295 -- text

VERCHERE, J.:—On this application the executors of the estate of Frank Nourse Youngman, deceased, appeal summarily, pursuant to Section 44 of the Succession Duty Act, from the decision of the Honourable the Minister of Finance affirming his prior

Ben Arthur Shuckett v. Minister of National Revenue, [1970] CTC 284, 70 DTC 6213 -- text

WALSH, J.:—This is an appeal from a Judgment of the Tax Appeal Board dated May 29, 1969, dismissing appellant’s appeal from a notice of re-assessment in respect of his income tax for the 1964 taxation year adding $8,559.88 to his income representing a

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