Bigras v. R., [1999] 1 CTC 2374, 98 DTC 1988 -- text
P.R. Dussault T.C.J.:
The appellant is appealing an assessment made on July 4, 1994 in respect of his 1990 taxation year. By this assessment, the Minister of National Revenue (the “Minister”) disallowed, with respect to a gain which resulted from a sale of shares occurring in 1988 but a part of which was not declared until 1990 as a reserve claimed the preceding year, the capital gains deduction provided for under section 110.6 of the Income Tax Act (the "Ac").