Pepsi-Cola Canada Limited v. Her Majesty the Queen, [1978] CTC 801, 78 DTC 6546 -- text
Collier, J:—In the plaintiff’s taxation year for 1970 tit (‘‘Pepsi’’) was paid an amount of $100,000. The money was paid by Schweppes Powell Limited, formerly Schweppes (Canada) Limited (“Schweppes Canada”). Pepsi did not, in its income tax return for 1970,