Norman Baron v. Minister of National Revenue, [1972] CTC 2511, 72 DTC 1432 -- text
Roland St-Onge:—This appeal is from a reassessment made by the respondent in respect of the taxpayer’s 1968 taxation year.
Roland St-Onge:—This appeal is from a reassessment made by the respondent in respect of the taxpayer’s 1968 taxation year.
The Chairman (orally):—This is an appeal by the taxpayer, Bernard R Axmith, from a reassessment by the Minister for the taxation year 1967 involving two specific sets of transactions. One transaction involved the Northville Explorations Limited and Copperville Mining
The Chairman (orally):—This is an appeal by Robert John Cunningham from an assessment by the Minister of National Revenue adding back a profit on the sale of real estate to the taxpayer’s income for the taxation year 1968. The facts are rather complicated but
The Chairman (orally):—This is an appeal by Alexander Dewar against a reassessment by the Minister for the taxation years 1968 and 1969 involving a sum of money in the neighbourhood of $3,400. Two taxation years are involved because the corporation which was paying
The Assistant Chairman:—This is an income tax appeal from assessments dated February 16, 1970 in respect of the appellant’s 1965 and 1966 taxation years which was heard at Windsor, Ontario on September 20, 1971 by Mr J O Weldon, QC, then a Member of the
A J Frost:—At the commencement of the hearing it was agreed by the parties that the appeals of Joseph Valevicius and Karl H Falk should be heard together on common evidence, as this was the most expeditious way to proceed. Two issues are involved, one
Maurice Boisvert:—This appeal is from assessments dated June 27, 1968 involving profits realized during 1966 and 1967.
A J Frost:—This is an income tax appeal in respect of the 1967 taxation year wherein, by reassessments of October 8, 1969 and August 31, 1970, appellant’s taxable income was readjusted as a result of an interest in the sale of land. This appeal was
Maurice Boisvert:—in this matter, three appeals were instituted by Marcel Giguére, René Giguere and Yvonne Giguere, all three being shareholders in a corporation known under the name of Giguère Automobile Ltée, which dates back to 1933 and which, since then, has
A J Frost:—These are income tax appeals in respect of appellant’s 1966 and 1967 taxation years. Upon Notices of Objection duly signed and filed, the Minister of National Revenue confirmed the assessments on the ground that the profit realized from the sale of