Recherche dans la collection - INCOME WAR TAX ACT S72 & S86 THOMAS HARRY HUNT SUING AS A MEMBER OF THE KWAWKEWLTH OR KWAKIUTL NATION OF INDIANS VS. BRITISH COLUMBIA PACKERS LTD. (& AS INTERVENERS) THE ATTORNEYS GENERAL OF CANADA & BC. CHALLENGE TO THE CONSTITUTIONAL VALIDITY OF S72 & S86 OF THE INCOME WAR TAX ACT. ACTION BY HUNT AGAINST THE CO. FOR THE BALANCE ON ACCOUNT OF FISH SOLD TO HUNT MINUS ALLOWANCES FOR SUPPLIES & CASH ADVANCES ALREADY RECEIVED. THE CO. CONTENDS THE AMOUNT CLAIMED WAS PAID TO THE RECEIVER GENERAL OF CANADA UNDER A DEMAND PURSUANT TO S72 OF THE IWT ACT. LEGAL ISSUES OF WHETHER HUNT AS AN INDIAN IS LIABLE TO PAY INCOME TAX & WHETHER S72 & S86 OF THE IWT ACT ARE INTRA VIRES OF PARLIAMENT. STATUTES: INDIAN ACT RSC 1927, C98, S102, S104; INCOME WAR TAX ACT S72, S86