Her Majesty the Queen v. The Royal Trust Company and Dame Gisèle Hoffman Hawey, Co-Executors and Trustees of The, [1974] CTC 881, 75 DTC 5001 -- text

Lacroix, DJ:—On July 15, 1971 an assessment, No 43991, was made against defendants, claiming from them tax amounting to $50,943 under the Estate Tax Act, on the taxable value of the estate of the late Honoré Hawey, who died

Robson Leather Co. Ltd. v. MNR, 74 DTC 6666, [1974] CTC 872 (FCTD), aff'd 77 DTC 5106, [1977] CTC 132 (FCA) -- text

Collier, J:—The appellant (sometimes hereafter “Robson Leather’’) appeals the respondent’s assessments of its income tax for its 1964 and 1965 taxation years. In the notice of appeal to this Court, Robson Leather alleged errors in respect of a number of

Geophysical Engineering Limited v. Minister of National Revenue, [1974] CTC 867, 74 DTC 6650 -- text

Thurlow, J (concurred in by MacKay, DJ) (judgment delivered from the Bench):—The issue in this appeal is whether Keevil Consultants Limited, one of three companies later amalgamated to form the appellant, was entitled to exemption under section 83 of the

Harlequin Enterprises Ltd. v. The Queen, 74 DTC 6634, [1974] CTC 838 (FCTD), aff'd 77 DTC 5164, [1977] CTC 208 (FCA) -- text

Mahoney, J:—Two amounts in respect of the calculation of the plaintiff’s 1969 taxable income are in issue. One is the deduction from income of $128,040 claimed by the plaintiff, being “gross profits on books on hand at wholesalers”, disallowed by the Minister of

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