Richstone v. MNR, 72 DTC 6232, [1972] CTC 265 (FCTD), briefly aff'd 74 DTC 6129 (FCA) -- text

Collier, J:—This is an appeal from the Tax Appeal Board, reported [1969] Tax ABC 928. There is another appeal from the Board by Harry Richstone, a brother of the present appellant. Harry Richstone died during the intervening period, but by agreement these appeals

Dorfman v. M.N.R., 72 DTC 6231, [1972] CTC 264 (FCTD) -- text

Heald, J:—This is an appeal from respondent’s income tax assessment of the appellant for the 1966 taxation year. By agreement of counsel, this appeal was tried together with the appeal of Bernard Lehrer in which latter appeal written Reasons for Judgment have been delivered this day under No T-1381-71 of this Court.

The present appeal arises from the same transaction which gave rise to the appeal of Bernard Lehrer.

Bernard Lehrer v. Minister of National Revenue, [1972] CTC 255, 72 DTC 6224 -- text

Heald, J:—This is an appeal from respondent’s income tax assessment of the appellant for the 1966 taxation year. What is involved is the sum of $17,862.85 realized by the appellant as profit on the sale of real property owned equally by the appellant and

Ernest G Stickel v. Minister of National Revenue, [1972] CTC 210, 72 DTC 6178 -- text

Cattanach, J:—These are appeals from the assessment by the Minister of the appellant to income tax for his 1967 and 1968 taxation years whereby the Minister disallowed the appellant’s claims to exemption from payment of tax in those respective taxation years pursuant

Befega Inc v. Minister of National Revenue, [1972] CTC 197, 72 DTC 6170 -- text

Walsh, J:—This is an appeal from a decision of the Tax Appeal Board dated December 16, 1969 confirming the assessment made on October 24, 1966, as slightly modified by reassessment dated February 29, 1968, of appellant’s income tax for the year 1965 whereby the

Winram v. MNR, 72 DTC 6187, [1972] CTC 193 (FCTD) -- text

Gibson, J:— This is an appeal from an assessment for estate tax in respect to nine class “A” voting common shares in the capital stock of T Winram Co Ltd which shares comprised a part of the property passing on the death of Theodore James Winram, deceased, and which were assessed at an aggregate amount of $177,972.30. The executors in the return of information filed pursuant to the Estate Tax Act, declared the value of these shares to be $1,627.06 (which it is agreed should have read $1,780.61).

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