Reverend Joseph K Wipf, Jacob K Wipf, Reverend Peter S Tschetter, Reverend John K Hofer and Reverend John K Wurz v. Her Majesty the Queen, [1973] CTC 761, 73 DTC 5558 -- text

Urie, J:—These are appeals by way of trial de novo by the plaintiffs from a decision of the Tax Review Board rendered on February 16, 1972 affirming assessments made by the defendant against them in respect of income earned by

Simodale Investments Limited v. Minister of National Revenue, [1973] CTC 742, 73 DTC 5549 -- text

Sheppard, DJ:—The issue is whether the profit realized by the plaintiff on the resale of property was a capital gain on an investment as the plaintiff contends, or was business income as the Minister of National Revenue contends.

Harold Donald Smith v. Minister of National Revenue, [1973] CTC 714, 73 DTC 5526 -- text

Kerr, J:—This is an appeal from a judgment of the Income Tax Appeal Board which confirmed the assessment of the appellant’s income for 1969, whereby $9,380.39 claimed by the appellant as a trading loss deduction from income was disallowed on the

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