Oryx Realty Corp. v. MNR, 74 DTC 6352, [1974] CTC 430 (FCA), aff'd in another respect in sub nom. MNR v. Shofar Investment Corp., 79 DTC 5347, [1979] CTC 433, [1980] 1 SCR 350 -- text

The Chief Justice (concurred in by Thurlow, J):—This is an appeal from a judgment of the Trial Division dismissing, with costs, an appeal from a decision of the Tax Appeal Board dismissing an appeal from the appellant’s assessment under Part I

M P Drilling LTD (Formerly Mountain Pacific Pipeline Ltd) v. Minister of National Revenue, [1974] CTC 426, 74 DTC 6343 -- text

Bastin, DJ:—The appellant is a corporation incorporated on September 30, 1963, under The Companies Act of Alberta for the primary purpose of carrying on the business of marketing liquified petroleum gases in the Pacific Northwest, Hawaii,

Minister of National Revenue v. Ernest G Stickel, [1974] CTC 416, 74 DTC 6268 -- text

Judson, J (all concur):—The question to be determined in this appeal is whether the respondent Ernest G Stickel qualifies for exemption from Canadian income tax on his teaching income earned in Canada beginning July 1, 1967, and ending June 30, 1969.

Her Majesty the Queen v. Pollock Sokoloff Holdings Corp, [1974] CTC 391, 74 DTC 6321 -- text

Walsh, J:—This is an appeal by plaintiff from a decision of the Tax Review Board dated June 6, 1973 maintaining. defendant’s appeal of the assessment for its 1968 taxation year and referring same. back to the Minister of National Revenue for

Her Majesty the Queen v. Creative Graphic Services and Craft Graphic Services Lid, [1974] CTC 381 -- text

Collier, J:—The plaintiff sues to recover from both defendants the sum of $1,715 alleged to be owing to the Crown by virtue of certain provisions of the Excise Tax Act, RSC 1970, c E-13 and amendments.” [1]

The Montreal Copy Centre LTD v. Minister of Revenue of the Province of Quebec, [1974] CTC 375 -- text

Forget, J:—Se prévalant des dispositions de l’article 95 de la Loi du ministère du revenu (Lois du Québec 1972, chapitre 22), The Montreal Copy Centre Ltd. demande à cette Cour d’annuler pour une partie la cotisation que lui transmettait l’intimé le

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