Imperial Oil Limited v. Minister of National Revenue, [1972] CTC 455, 72 DTC 6390 -- text

Collier, J:—The appellant appeals against an assessment in respect to its 1963 income. The respondent, for that year, added to the appellant’s income the sum of $7,459,055.25, the alleged profit realized on the transfer of certain natural gas storage leases to Tecumseh

Kennedy v. MNR, 72 DTC 6357, [1972] CTC 429 (FCTD), aff'd 73 DTC 5359 (FCA) -- text

Cattanach, J:—These are appeals by James F Kennedy from his assessments to income tax by the Minister of National Revenue for his 1965 and 1966 taxation years. At all material times the appellant was the sole beneficial owner of all the shares in and

Montreal Trust Company v. Minister of National Revenue, [1972] CTC 422, 72 DTC 6369 -- text

The Associate Chief Justice:—This is an appeal from the decision of the Tax Appeal Board, dated April 27, 1970, dismissing the appellant’s appeals from its income tax assessments for 1963 and 1964 taxation years whereby amounts of $867,365.76 and $95,287.49 for the

C P Loewen Enterprises LTD v. Minister of National Revenue, [1972] CTC 396, 72 DTC 6298 -- text

Cattanach, J:—These are appeals from the appellant’s assessments to income tax by the Minister for its 1964, 1965 and 1966 taxation years. The assessments were made following directions by the Minister dated August 16, 1968 pursuant to the provisions of subsection 138A(2) of the Income Tax Act that the following companies are deemed to be associated with each other in their 1965 and 1966 taxation years:

(1) Loewen Holdings Ltd

(2) C T Loewen & Sons (1957) Ltd

(3) Build-A-Home Co, Ltd

Percival Archibald Woodward, Deceased v. Minister of Finance of British Columbia, [1972] CTC 385 -- text

Martland, J (all concur):—By his will, made on August 21, 1962, the late Percival Archibald Woodward, hereinafter referred to as “the testator”, directed his executors to grant, transfer, assign, deliver and set over to Mr and Mrs P A Woodward’s Foundation, hereinafter

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