McLellan v. M.N.R., 90 DTC 1405, [1990] 2 CTC 2191 (TCC) -- text
Mogan, T.CJ.:—Prior to 1981, if a taxpayer acquired depreciable property at any time in a particular taxation year, he was entitled to deduct in computing income for that year the full amount of capital cost allowance with respect to that depreciable