Burgess v. MNR, 73 DTC 5040, [1973] CTC 58 (FCTD) -- text
Heald, J:—These actions are appeals from income tax assessments for the taxation year 1969.
Heald, J:—These actions are appeals from income tax assessments for the taxation year 1969.
Heald, J:—This is an appeal from the judgment of the Tax Appeal Board dated May 27, 1966 confirming an assessment by the respondent dated June 19, 1961 wherein the following amounts of income tax in respect of income were assessed against the
Thurlow, J:—In my view the second, third and fourth points put forward by counsel for the respondents as justifying leave to appeal raise questions that are fairly arguable. I am not persuaded that the same can be said of the first or the
Kerr, J:—This is an appeal taken to the Exchequer Court of Canada by the appellant from a judgment of the Tax Appeal Board dated June 10, 1970. It relates to an assessment of income tax for the appellant’s 1962 taxation year in the
Kerr, J —This is an anneal in respect of the income tax assessment of the appellant for his 1968 taxation year.
Collier, J—On June 5, 1972 I gave Reasons for Judgment in this appeal ([1972] CTC 274). The appellant at that lime was described as “Harry Richstone”. In those Reasons I pointed out that Harry Richstone had died before his appeal came on for hearing in this Court and that it would be necesary to substitute someone to represent his estate. That was done by Order of this Court on September 22, 1972.
Pratte, J:—These are appeals from decisions of the Tax Appeal Board which held that in computing their income for the years 1964 and 1965 the plaintiffs were entitled to claim, in respect of a certain building, capital cost allowances under Class
The Chief Justice (concurred in by Sheppard and Bastin, DJJ) delivered from the Bench:—This is an appeal from a decision of the Trial Division allowing an appeal by the respondent from its assessment under Part I of the Income
The Chief Justice (concurred in by Bastin, DJ):—These four appeals were argued together. Each appeal is from a judgment of the Trial Division dismissing an appeal from an assessment under the Income Tax Act.