Western Electric Company Incorporated v. Minister of National Revenue, [1971] CTC 96, 71 DTC 5068 -- text

ABBOTT, J. (orally for the Court) :—It will not be necessary to hear you, Mr. Bowman. We are all in agreement with the conclusion reached by the learned trial judge that the payments in issue on these appeals (1) come within the provisions of

Bank of Montreal v. Attorney General of Canada, [1971] CTC 91, 71 DTC 5091 -- text

Rae, J.:—C. T. Takahashi & Company Ltd. and Douglas Plywood Ltd. were faced with conflicting demands by the plaintiff and by the Department of National Revenue, Taxation Division, to certain moneys which they owed and would otherwise have paid to Canadian

Lewis Eric Reford v. Minister of National Revenue, [1971] CTC 76, 71 DTC 5053 -- text

WALSH, J.:—This is an appeal from the assessment made by the respondent with respect to the appellant’s 1962 taxation year, notice of which was given by a notice of re-assessment dated January 30, 1968. The facts giving rise to the notice of re-assessment

Abbott Laboratories, Limited, Suppliant, v. Her Majesty the Queen, [1971] CTC 26, 71 DTC 5019 -- text

Kerr, J.:—This is a Petition of Right for recovery of $5.674.96*[1] that was paid by the suppliant under protest as federal sales tax imposed by Section 30 of the Excise Tax Act, R.S.C. 1952, c. 100, in respect of a product manufactured and sold in Canada by the suppliant, the product being, as the evidence shows, a non-caloric artificial sweetener known as "Sucaryl"

Minister of National Revenue v. The Canada Trust Company and Marie Jacqueline Colette Ruth Shaw, Executors or the Estate of William Theo Shaw, [1971] CTC 15, 71 DTC 5041 -- text

JACKETT, P.:—This is an appeal from a decision of the Tax Appeal Board dated. February 27, 1970, allowing an appeal from an assessment made under the Estate Tax Act on January 26, 1968, by reducing the aggregate net value of the property passing on the death of the late William Theo Shaw, who died on December 9, 1966, as fixed by that assessment, by an amount of $75,000 being the amount paid under certain insurance policies by reason of the accidental death of the deceased.

The appeal was argued on a special case stated by the parties.

Gerald Morley Hechter, Radio Oil Ltd., Radio Holding Corporation Limited, Roco Products Limited, Roco Enterprises Limited and Tobanne Enterprises Limited v. Minister of National Revenue, [1971] CTC 12, 71 DTC 5066 -- text

BASTI\ J. (013113 from the Bench) :—I am entitled to assume that the first category of documents do not relate to the affairs of the two taxpayers and, therefore, are privileged.

Weekes v. Canada (Attorney General), 2023 FC 54 -- text

Christoforou v. John Grant Haulage Ltd., 2023 FC 38 -- text

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