Canadian General Electric Co. Ltd. v. Minister of National Revenue, [1959] CTC 350, 59 DTC 1217 -- text
CAMERON, J.:—By a re-assessment dated August 6, 1957, the respondent added to the declared income of the appellant for its taxation year ending December 31, 1952, the sum of $431,072.68, described as Foreign exchange profit on notes payable’’, and an appeal is