Golden Oak Investments Ltd. v. Minister of National Revenue, [1975] C.T.C. 2220, 75 D.T.C. 180 -- text
A J Frost:
1 I shall now give my decision in this income tax appeal in respect of the appellant's 1969, 1970 and 1971 taxation years.
2 The question at issue herein is whether or not the gain of $79,881.06 realized on the sale of a trailer park owned by the appellant company is income within the meaning of sections 3 and 4 and paragraph 139(1)(e) of the former Income Tax Act.