Eco Exploration Company Limited (No Personal Liability), Appellant, >>minister of National Revenue, Respondent., [1974] CTC 259, 74 DTC 6210 -- text

Thurlow, J:—This appeal from reassessments for the years 1946, 1947 and 1951 to1957 inclusive was heard at the same time as the appeal in file number A-53-72 of Mark G Smerchanski and so far as applicable the same submissions were put forward on behalf of this appellant as for the appellant Smerchanski. For the reasons given in the Smerchanski appeal, a copy of which is filed herewith, this appeal also fails and in my opinion should be dismissed with costs.

Mark G Smerchanski v. Minister of National Revenue, [1974] CTC 241, 74 DTC 6197 -- text

Thurlow, J:—This is an appeal from a judgment of the Trial Division which dismissed the appellant’s appeal from reassessments of income tax made on or about July 8, 1964 for the years 1945 to 1959 inclusive. While two other issues were discussed

Her Majesty the Queen v. Douglas C Matthews, [1974] CTC 230, 74 DTC 6193 -- text

Mahoney, J:—The subject-matter of this appeal is the deduction by the defendant of $693.04 losses incurred in respect of his interest in two “tree farms” from other income in his 1969 income tax return. The Tax Review Board allowed his appeal from

Ronald Francis Theres Maclsaac v. Minister of National Revenue, [1974] CTC 223, 74 DTC 6188 -- text

Sheppard, DJ:—The issue is whether the interest of the appellant was purchased by him as an investment and the profit realized was capital as the appellant contends or whether at the time of purchase there was an alternative intention of resale at

Wardean Drilling Co, LTD v. Minister of National Revenue, [1974] CTC 190, [1974] DTC 6164 -- text

Cattanach, J:—These appeals from the appellant’s assessment to income tax by the Minister of National Revenue for its taxation years ending March 31, 1968 and March 31, 1969 involve the applicability of subsection (8a) of section 83A of the Income

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