Harlequin Enterprises Ltd. v. The Queen, 74 DTC 6634, [1974] CTC 838 (FCTD), aff'd 77 DTC 5164, [1977] CTC 208 (FCA) -- text
Mahoney, J:—Two amounts in respect of the calculation of the plaintiff’s 1969 taxable income are in issue. One is the deduction from income of $128,040 claimed by the plaintiff, being “gross profits on books on hand at wholesalers”, disallowed by the Minister of