Camp Kahquah Corp. v. R., [1998] 4 CTC 2882 -- text
Bell T.C.J.:
This is an appeal from an Assessment for the period January 1, 1992 to December 31, 1992 made under Part IX of the Excise Tax Act (“Act”) in respect of Goods and Services Tax. Sectional reference, unless otherwise specified, will be to this Act.
Issue
The issue is whether camp programs conducted by the Appellant are exempt supplies within the meaning of the term “exempt supply” as defined in section 123(1) of the Act.