Search - consideration
Results 5571 - 5580 of 11337 for consideration
T Rev B decision
Markian George Tershakowec v. Minister of National Revenue, [1981] CTC 2104, 81 DTC 102
Since counsel for the respondent disagreed with that, consideration of that case will be deferred. ...
T Rev B decision
Jacques Rochette v. Minister of National Revenue, [1981] CTC 2508, 81 DTC 439
Income from Laboratoire d’Expertise L E Inc 5.03.5 The Board has not, however, reached the same conclusion in its consideration of the income of $200 per month from Laboratoire d’Expertise. ...
T Rev B decision
Tony Joris v. Minister of National Revenue, [1981] CTC 2596
These considerations are not all-inclusive, but they are indicative of the objective basis and serious approach he may have taken to that responsibility, and the degree therefore to which any inadequacies therein should reflect upon him. ...
T Rev B decision
Lucretia Moubray, Phillip R Moubray v. Minister of National Revenue, [1981] CTC 2971, 81 DTC 865
That such a prospect (of sale) would be a consideration I do not doubt, but it should not in this case detract from the inherent characteristics and use of Peachland before, during and after the involvement of Lucretia Moubray, and the fact that she owned only a fifty per cent interest. ...
FCTD
J E Cranswick v. Her Majesty the Queen, [1980] CTC 93, 80 DTC 6057
The consideration to be received by WCL for such assets was to have been equal to their net book value, to be paid by WCI Canada Limited, plus $8,000,000, to be paid by Westinghouse Electric. 8. ...
T Rev B decision
Dilbag Singh Mangat v. Minister of National Revenue, [1980] CTC 2011, 80 DTC 1008
The appellant did not present anything of substance in support of them, and the results to this point do not warrant any consideration being given in his favour with respect to the deductions claimed on the basis of drafts to the Royal Bank or the Canadian Imperial Bank of Commerce during 1975 or 1976. ...
T Rev B decision
Jean L Sansoucy v. Minister of National Revenue, [1980] CTC 2312, 80 DTC 1276
Notwithstanding subsection (1)(g) a taxpayer’s loss, if any, from the disposition of a property, to the extent that it is (ii) a loss from the disposition of a debt or other right to receive an amount, unless the debt or right, as the case may be, was acquired by the taxpayer for the purpose of gaining or producing income from a business or property (other than exempt income) or as consideration for the disposition of capital property to a person with whom the taxpayer was dealing at arm’s length, is nil. ...
T Rev B decision
Robert W Savage v. Minister of National Revenue, [1980] CTC 2366, 80 DTC 1369, [1980] CTC 2415
Background The appellant at all relevant times resided at 72 Thatcher Drive, in the City of Winnipeg, Manitoba (Thatcher), and was the spouse of Carl J Thor- steinson (C J T) who was himself assessed to additional income tax on September 12, 1977 with explanations relevant to this appeal as follows: 1973 Add: Net Rental Income re: 2791 Pembina Hwy (Capital Cost Allowance Claimed Amounted to $875) 617.15 1974 (1) Add: Net Rental Income Re: 2791 Pembina Hwy $498.42 Add: Capital Cost Allowance disallowed as property was disposed of on December 31, 1974 1,412.50 1,910.92 (2) Recapture of 1973 CCA 875.00 (3) Taxable Capital Gain re sale of 2791 Pem bina Hwy proceeds—December 31, 1974 $142,000.00 Cost—June 1973 67,000.00 Capital Gain $ 75,000.00 Taxable Capital Gain (1/2) $37,500.00 The amounts of additional tax assessed against C J T in the Sept 12/1977 assessments were: 1973 increase $ 516.66 1974 increase 24,098.11 1975 increase 8,165.50 32,780.27 Contentions In view of the nature of this appeal, and the issues raised therein, the Board notes first, the position of the respondent: — By transfer dated July 2, 1976 and registered in the Winnipeg Land Titles on July 9, 1976, C J T transferred his one-half interest in real property (“Thatcher”) in Winnipeg to the appellant; —The transfer was made for a consideration in excess of $32,957.22; —On the day of the transfer, C J T was liable to pay an amount not less than $32,957.22 under the Income Tax Act. ...
T Rev B decision
Murray S Partykan v. Minister of National Revenue, [1980] CTC 2540, 80 DTC 1475
One consideration may point so clearly that it dominates other and vaguer indications in the contrary direction. ...
T Rev B decision
Thomas E Kierans v. Minister of National Revenue, [1980] CTC 2627, 80 DTC 1534
The net cast by those words is, I believe, much wider than that cast by the United Kingdom legislation under consideration in the Henley v Murray case. ...