The taxpayer, who was separated from his former spouse, resided with his son in a self-contained, one-bedroom suite in the matrimonial home, but with his son sleeping in the portion of the matrimonial home that continued to be occupied by the former spouse. In finding that the son was wholly dependent upon the taxpayer for support, Rossiter J. rejected the Crown's submission that it was essential that the dependent sleep in the self-contained establishment.
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Drupal 7 entity type
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Drupal 7 entity ID
333525
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