Burnett v. Minister of National Revenue, [1999] 1 CTC 31, 98 DTC 6658 -- text
Evans J.:
A. Introduction. (L10/R4320/T0/BT1) test_linespace (271>257.55) 1.023 0060_2613_2743
Evans J.:
A. Introduction. (L10/R4320/T0/BT1) test_linespace (271>257.55) 1.023 0060_2613_2743
Campbell J.:
The question in this case is whether Global Communications Limited’s advances to a subsidiary, none of which were repaid, constitute a “bad debt” under s.20(1)(p) of the Income Tax Act, and is, therefore, tax deductible.
The content of an Agreed Partial Statement of Facts is as follows:
Richard Morneau Prothonotary:
This is an opposition taken under article 597 of the Code of Civil Procedure by three opposing parties to a seizure of movable property carried out on October 11, 1995 in a residence at 4322 Chemin St-Éloi in Jonquiére.