Bert James v. Minister of National Revenue, [1973] CTC 457, 73 DTC 5333 -- text

Gibson, J:—The appellant appeals from reassessments for income tax for his taxation years 1967 and 1968. The appellant claimed he was entitled to deduct losses from his horse racing business from income he received from another source. The Minister reassessed

Minister of National Revenue v. Glen-Rouge Parks Limited, [1973] CTC 443, 73 DTC 5364 -- text

Cattanach, J:—This is an appeal from a decision of the Tax Review Board whereby it was held that a gain of $545,570 realized by the respondent on the sale of land was not a profit from an adventure or concern in the nature of trade within the

Tory Estate v. M.N.R., 73 DTC 5354, [1973] CTC 434 (FCA), briefly aff'd 76 DTC 6312, [1976] CTC 415 (SCC) -- text

Bastin, DJ (judgment delivered from the Bench, per curiam):—This is an appeal from a decision of the Trial Division dismissing the appeal of the appellant from a notice of reassessment in respect of the 1965 taxation year. The appeal

Her Majesty the Queen v. Bobbie Brooks (Canada) Limited, [1973] CTC 431, 73 DTC 5357 -- text

Pratte, J:—This is an appeal from a decision of the Tax Appeal Board allowing an appeal from the reassessments of the defendant’s income tax for the 1965, 1966 and 1967 taxation years. The sole question involved in this appeal is whether the defendant is

Louis Burnstein and Morev Investments Limited v. Minister of National Revenue, [1973] CTC 429, 73 DTC 5353 -- text

The Chief Justice (judgment delivered from the Bench, per curiam):— In these two appeals the question is whether the Trial Division erred in upholding assessments, under Part I of the Income Tax Act, of

In re MNR v. Huron Steel Fabricators (London) Ltd., 73 DTC 5347, [1973] CTC 422 (FCA) -- text

Thurlow, J (concurred in by Sweet, DJ):—The issue in these appeals is whether the income tax returns of a defunct company, which I shall refer to as Pelon, for the years 1964, 1965 and 1966, upon which the income tax assessments of the

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