Jordan Page Harshman and Prue Lydia Harshman, Execut‘ors of the Last Will and Testament of Hubert Harry Harshman, Deceased v. Minister of National Revenue, [1971] CTC 288, 71 DTC 5202 -- text

GIBSON, J.:—This is an appeal from an assessment for estate tax made August 1, 1968 whereby tax in the sum of $61,444.95 was levied. This assessment added the sum of $93,828.21 to the estate tax payable for the value of certain inter vivos gifts made by the deceased Hubert Harry Harshman to what is called in these proceedings ‘ The Harshman Foundation’’, and for the value at the date of death of the gift to The Harshman Foundation under the will of the said Hubert Harry Harshman deceased.

Oakfield Developments (Toronto) Limited v. Minister of National Revenue, [1971] CTC 283, 71 DTC 5175 -- text

JUDSON, J. (all concur) :—The appellant, Oakfield Developments (Toronto) Limited, is a private company provincially created by letters patent of amalgamation dated October 8, 1964. One of its predecessor corporations was Polestar Developments Limited. In respect of its two

British Columbia Forest Products Ltd. v. MNR, 71 DTC 5178, [1971] CTC 270 (SCC) -- text

MARTLAND, J. (all concur) :—This appeal is from the judgment of the Exchequer Court, which dismissed (save as to one agreed item) the appellant’s appeal from the assessment of its income tax, for the taxation year 1963, made by the respondent.

Concorde Automobile Ltee v. Minister of National Revenue, [1971] CTC 246 -- text

WALSH, J.:—This is an appeal from income tax assessments dated April 28, 1969 for the taxation years 1964 and 1965 of the appellant. On or about September 1, 1964, appellant, a Quebec corporation, established a pension plan for its employees entering into

Minister of National Revenue v. Mary Ada Cox and Montreal Trust Company,, [1971] CTC 227, 71 DTC 5150 -- text

Judson, J. (all concur) :—The respondents are the executors of the last will and testament of Harris Cox, deceased. The sole issue on appeal is whether there is to be included in the property passing on the death of Harris Cox, the face value of a

Inland Industries Ltd. v. Minister of National Revenue, [1971] CTC 171, 71 DTC 5136 -- text

CATTANACH, J.:—In these appeals the appellant contends that the Minister improperly assessed it with respect to its 1965, 1966 and 1967 taxation years in that he disallowed deductions claimed by the appellant of payments in the amounts of $100,000, $50,000 and

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