Lawrence B. Scott v. Minister of National Revenue, [1960] CTC 402, 60 DTC 1273 -- text
THURLOW, J.:—This is an appeal from a re-assessment of income tax made in 1957 in respect of the appellant’s income for the year 1952. Two questions are involved in the appeal, the first being that of whether a profit realized by the appellant in 1952 was income and the other being whether the reassessment was made within the limitation period of four years from the day of the original assessment provided by Section 46(4) of the Income Tax Act, R.S.C. 1952, c. 148, as amended by Statutes of Canada, 1956, c. 39, Section 11.