Numisia Boccia and Armand Boccia v. Her Majesty the Queen, [1973] CTC 731, 73 DTC 5522 -- text
Mahoney, J:—The trials of these causes were, by consent, conducted jointly in Toronto, on October 11 and 12, 1973.
Mahoney, J:—The trials of these causes were, by consent, conducted jointly in Toronto, on October 11 and 12, 1973.
Urie, J:—This is an appeal from the decision of the Tax Appeal Board dated May 27, 1970 with respect to an assessment dated January 3, 1968 for the respondent’s 1965 taxation year, whereby the appellant in computing the respondent’s income for the
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
Kerr, J (orally):—This is a motion for judgment in favour of the plaintiff on the basis of allegations made and admitted in the pleadings.
The Chief Justice (judgment delivered from the Bench) (all concur):— This is an appeal from a judgment of the Trial Division dismissing with costs an appeal from reassessments of the appellant, who is a building contractor, under Part I of the Income
Urie, J:—This is an appeal from the decision of the Tax Review Board dated November 20, 1972, affirming an assessment relating to a profit realized by the plaintiff in his 1969 taxation year from the sale of a tugboat named
Lande, J:—The Court having examined the proceedings, studied the law and the written notes of the parties and having deliberated on the whole.
Sweet, DJ:—The Crown granted to the plaintiff, Jackson Brothers Logging Company Limited (herein referred to as Jackson) and Phillips and Lee Logging Limited (herein referred to as Phillips and Lee) timber sale harvesting licence A 00044 dated October 2, 1967
Cattanach, J:—The two appeals indicated in the above styles of cause came before the Court contemporaneously pursuant to an order dated June 23, 1970 given by the President of the Exchequer Court of Canada, now the Chief Justice of the Federal Court of Canada,
Sheppard, DJ:—The issue is the liability of the plaintiff to income tax on shares in his name under subparagraph 6(1)(a)(i) and subsection 16(1) of the Income Tax Act.