Willard L Sikora v. Minister of National Revenue, [1972] CTC 2593, 72 DTC 1485 -- text

A W Prociuk:—The point to determine in this appeal is whether or not the appellant during the years 1966 and 1967 carried on the business of farming with a reasonable expectation of profit and was entitled to deduct his farming expenses from his other

Vernon Leslie Robertson v. Minister of National Revenue, [1972] CTC 2588, 72 DTC 1489 -- text

A.J Frost:—This is an income tax appeal in respect of the appellant’s taxation years 1962 through 1967. Upon Notice of Objection duly filed, the Minister of National Revenue reconsidered the assessments and confirmed them on the ground that the penalties had been

Marco Products LTD v. Minister of National Revenue, [1972] CTC 2583, 72 DTC 1442 -- text

A J Frost:—This is an appeal from an income tax reassessment dated April 13, 1970 in respect of the 1965 taxation year wherein the taxable income of the appellant was increased by $21,579.97 representing the difference between an earlier valuation of the North

W Fred Cox v. Minister of National Revenue, [1972] CTC 2577, 72 DTC 1446 -- text

The Chairman:—This is an appeal by the taxpayer against an assessment dated June 16, 1969 for the taxation year 1967, wherein there was added to the appellant’s income for the year the net profit realized by him on the sale of an oil derrick to Cox and Company Limited.

Joseph Horning v. Minister of National Revenue, [1972] CTC 2576, 72 DTC 1476 -- text

The Chairman:—For the reasons issued this day in the case of Gordon Thomas Haig v MNR, it is ordered and adjudged that the appeal in respect of the taxation years 1964, 1965, 1966 and 1967 be and the same is hereby allowed and the matter referred back. to the respondent for reassessment accordingly.

Appeal allowed.

Gordon Thomas Haig v. Minister of National Revenue, [1972] CTC 2562, 72 DTC 1465 -- text

The Chairman:—This is an appeal by Gordon Thomas Haig against income tax reassessments dated May 15, 1969 for the taxation years 1964 to 1967 inclusive and from a notice of assessment dated August 20, 1969 for the taxation year 1968 wherein the Minister of

Canadian-American Loan & Investment Corporation Limited v. Minister of National Revenue, [1972] CTC 2559, 72 DTC 1463 -- text

A J Frost:—This is an income tax appeal in respect of the appellant’s taxation year ended June 30, 1967. Upon notice of objection duly signed and filed the Minister of National Revenue reconsidered the assessment and confirmed it on the ground that an amount

Armin C Kornfeld v. Minister of National Revenue, [1972] CTC 2556 -- text

The Chairman:—This is an appeal from assessments to income tax for the taxation years 1965, 1966, 1967 and 1968 in which unreported income was added to the income previously assessed for each of the respective years involved. The taxpayer has paid the additional

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