Tremblay v. R, [1999] 1 CTC 2473 -- text
Lamarre T.C.J.:
The appellant is appealing under the informal procedure from an assessment made with respect to the 1995 taxation year.
By means of that assessment the Minister of National Revenue (“the Minister") disallowed the non-refundable tax credit in the amount of $719.61 claimed by the appellant for a mental or physical impairment pursuant to ss. 118.3 and 118.4 of the Income Tax Act (“the Act”).