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

Mister Muffler Ltd. v. The Queen, 74 DTC 6615, [1974] CTC 813 (FCTD) -- text

Walsh, J:—Plaintiff appeals from income tax assessments for the taxation years ending November 30, 1967, December 31, 1967 and December 31, 1968. Its declaration sets forth that it operates a chain of retail automotive exhaust system installation shops and that as of

General Trust of Canada, Executor of the Estate of Dame Marie Léonide (Landes) Séguin v. Her Majesty the Queen, [1974] CTC 808, 74 DTC 6628 -- text

Addy, J:—The plaintiff is appealing from a decision of the Tax Review Board dismissing its appeal to that Board. The dispute centres on the following facts: Marie Léonide Landes and Désiré Camille Séguin were married under the system of separation of property pursuant

Chester G Harris v. Minister of National Revenue, [1974] CTC 801, 74 DTC 6623 -- text

Heald, J:—This is an appeal in respect of income tax assessments for the taxation years 1966 and 1967 wherein the respondent disallowed a farm loss of the appellant in the sum of $1,034.59 in the taxation year 1966 and in the sum of $1,671.32 in the

John Walter Butcher, Grant Edward Frost and Ivan S Gray v. Minister of National Revenue, [1974] CTC 795, 74 DTC 6604 -- text

Gibson, J:—These three appeals were heard on common evidence. The three appellants and one Roderick J Smith, as chartered accountants, carried on their practice in partnership from 1955 to January 15, 1966 when the partnership was dissolved. After that time,

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