The taxpayer disposed of depreciable property to a corporation controlled by him in consideration for the assumption of a mortgage and the issuance of common shares having a stipulated value that was substantially less than the amount for which they were sold shortly thereafter by the taxpayer. The proceeds of disposition of the depreciable property were found to approximate the fair market value of the property, as established by the subsequent transaction, rather than being based on the stipulated consideration.
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d7 import status
Drupal 7 entity type
Node
Drupal 7 entity ID
334086
Extra import data
{
"field_legacy_header": "<strong><em>Belle-Isle v. MNR</em></strong>, 64 DTC 5041 (Ex Ct), briefly affirmed 66 DTC 5100, [1966] R.C.S. 354",
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"field_sid": "",
"field_topic_category": ""
}
"field_legacy_header": "<strong><em>Belle-Isle v. MNR</em></strong>, 64 DTC 5041 (Ex Ct), briefly affirmed 66 DTC 5100, [1966] R.C.S. 354",
"field_override_history": false,
"field_sid": "",
"field_topic_category": ""
}