Hollinger Inc. v. R., [1998] 4 CTC 2424, 98 DTC 1913, aff'd 99 DTC 5500 (FCA) -- text
Bowman T.C.J. .
These appeals are from assessments for the 1986 and 1987 taxation years. The issue is whether the appellant, having acquired for $4,000,000 a chain of two Canadian corporations and a U.S. corporation, is entitled to a capital loss in 1986 of about $113,000,000 when the two Canadian companies are wound up and the U.S. company is sold for $20.00.
The facts are relatively uncomplicated.