Yvon a Alexander v. Minister of National Revenue, [1973] CTC 405, 73 DTC 5321 -- text

Sheppard, DJ:—The issue is whether the payment of $30,000 to the appellant in the taxation year 1966 was a retiring allowance within subparagraph 6(1)(a)(v), as defined in paragraph 139(1)(aj) as alleged by the respondent, or is a capital allowance as

Fredericton Housing Limited v. Her Majesty the Queen, [1973] CTC 400, 73 DTC 5329 -- text

The Chief Justice (concurred in by St-Germain, DJ):—This is an appeal from a judgment of the Trial Division dismissing, with costs in the cause, an application that, in its inception, was a motion for leave to file a conditional appearance and a stay under

Rapistan Canada Limited v. Minister of National Revenue, [1973] CTC 393, 73 DTC 5316 -- text

Gibson, J:—The appellant, a Canadian corporation, obtained certain intangible assets from The Rapids-Standard Company Inc, of Grand Rapids, Michigan, hereinafter called “the US company” by a so-called Deed of Gift, which assets the appellant, after acquisition, put a

The Longueuil Meat Exporting Co Lid v. Her Majesty the Queen, [1973] CTC 386, 73 DTC 5306 -- text

Pratte, J:—This is an appeal from a reassessment of the plaintiff’s income tax for the 1966 taxation year. That reassessment was made on the basis that the plaintiff had improperly deducted from its income a capital outlay of $500,000.

Sogemines Development Company Limited v. Her Majesty the Queen, [1973] CTC 383, 73 DTC 5304 -- text

The Chief Justice (ail concurring):—This is an appeal from a judgment of the Trial Division dismissing an appeal from a judgment of the Tax Appeal Board that dismissed an appeal from the appellant’s assessments under Part I of the Income

Mark Tanz v. Minister of National Revenue, [1973] CTC 377, 73 DTC 5311 -- text

Collier, J:—This is an appeal by the taxpayer from the Tax Appeal Board. (now the Tax Review Board) which affirmed a reassessment by the respondent Minister for the 1963 taxation year. The respondent added to the appellant’s income the sums of $50,000. and

Her Majesty the Queen v. Compagnie Immobilière BCN Ltée, [1973] CTC 362, 73 DTC 5295 -- text

The Associate Chief Justice:—This is an appeal by Her Majesty the Queen from a decision of the Tax Review Board, dated February 22, 1972, allowing. the appeal by defendant, Compagnie Immobilière BCN Liée, from an income tax assessment dated

Rickron Realty Inc v. Minister of National Revenue, [1973] CTC 355, 73 DTC 5287 -- text

Heald, J:—This is an appeal from the decision of the Tax Appeal Board upholding respondent’s income tax assessments of the appellant for the taxation years 1961 and 1963. The only issue in the appeal is whether certain profits realized by the

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