Irwin a Blackstone v. Her Majesty the Queen, [1973] CTC 842, 74 DTC 6020 -- text

Mahoney, J:—This is an appeal against the reassessment of the plaintiff’s 1967 income tax return whereby there was added to his income an amount of $6,037.56, being his share of the reduction for that year of a reserve established under section 85B

Minister of National Revenue v. Furnasman LTD and Furnasman (Metal) LTD, [1973] CTC 830, 73 DTC 5599 -- text

Addy, J:—This is an application by the Minister of National Revenue by way of appeal from the Tax Appeal Board whereby the latter held that, for the taxation year 1964, Furnasman Ltd (hereinafter referred to as “Furnasman”) and Furnasman (Metal) Ltd

Cumberland Investments Limited (Formerly Douglas, Rogers, Limited) v. Her Majesty the Queen, [1973] CTC 821, 74 DTC 6001 -- text

Heald, J:—This is an appeal by the plaintiff from its income tax assessment by the defendant for its 1971 taxation year. At issue, in these proceedings, is the nature of a payment made by the plaintiff in the sum of $150,000. The plaintiff contends that

Paul Tkalych v. Minister of National Revenue, [1973] CTC 806, 74 DTC 6014 -- text

Heald, J:—This is an appeal by the plaintiff from a judgment of the Tax Review Board dismissing plaintiff’s appeal from the defendant’s assessment of plaintiff’s income tax return for the taxation year 1967. In issue in these proceedings is the propriety

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