Sadler v. R., [1997] 3 C.T.C. 2698 -- text
Bell T.C.J.:
1 All statutory references, unless otherwise specified, relate to the Income Tax Act (“Act”).
Issue:
2 The issue is whether, in the 1992 taxation year, payments made by the Appellant pursuant to an Order of the Court of Queen's Bench of Alberta are deductible pursuant to paragraph 60.1(1)(b) and/or paragraph 60(b) of the Act.