Simard-Beaudry Inc. v. M.N.R., 74 DTC 6552, [1974] CTC 715 (FCTD) -- text

Addy, J:—The facts as established at trial were numerous as well as complicated. The case concerned the alleged responsibility of the appellant towards respondent for its participation in the operations of two other companies which, by various offshore trading operations,

Minister of National Revenue v. Bethlehem Copper Corporation LTD, [1974] CTC 707, 74 DTC 6520 -- text

Martland, .I (per curiam):—This appeal is from a judgment of the Federal Court of Appeal, which dismissed an appeal by the appellant, hereinafter referred to as “the Minister”, from the judgment at trial, in favour of the respondent, hereinafter referred

Vernon Robert Milley Et Al v. Granby Construction & Equipment Lid Et Al, [1974] CTC 701, 74 DTC 6543 -- text

McFarlane, J (per curiam):—This is an appeal from the judgment of Bouck, J pronounced May 23, 1974, which directed that certain documents, books, records, papers and things “be replevied” to the respondents. Because the validity of income tax Regulation

Jack Appleby v. Minister of National Revenue, [1974] CTC 693, 74 DTC 6514 -- text

Judson, J (concurred in by Martland, Ritchie and de Grandpré, JJ):— The Federal Court has held that the appellant, Jack Appleby, although he derived profits from the sale of certain mining shares which were within the exempting provisions of subsection

The Queen v. Lagueux & Freres Inc., 74 DTC 6569, [1974] CTC 687 (FCTD) -- text

Décary, J:—This appeal relates to the years 1966 and 1967, when the Minister issued an assessment under which he held that the contracts at issue are contracts of sale, not rental contracts. The case was heard by the Tax Review Board, which held that the

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