Allfine Bowlerama Limited v. Minister of National Revenue, [1972] CTC 2603, 72 DTC 1502 -- text

A J Frost (orally):—This is an income tax appeal in respect of the appellant’s 1965 taxation year. Upon notice of objection duly signed and filed, the Minister of National Revenue confirmed the assessment on June 10, 1971. The appeal came on for hearing in

Maurice Sunderland v. Minister of National Revenue, [1972] CTC 2602, 72 DTC 1497 -- text

A J Frost:—This taxpayer has appealed from assessments to income tax with respect to income for the taxation years 1962 through 1967. The underlying facts and issues are identical to those in the appeal of Jack Abugov v MNR. At the hearing, it was agreed that the evidence and argument rendered would apply equally to both cases, the only slight difference being the amounts of the adjustments made by the respondent to appellant’s income.

Jack Abugov v. Minister of National Revenue, [1972] CTC 2598, 72 DTC 1493 -- text

A J Frost:—This income tax appeal is in respect of appellant’s 1962, 1963, 1964, 1965, 1966 and 1967 taxation years. Upon Notice of Objection duly signed and filed, the Minister of National Revenue reconsidered the assessments and confirmed them on May 14, 1970.

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

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