Before going on to follow Huang in finding that post-doctoral fellowships received by the taxpayer (prior to 2010 amendments to the definition of "qualifying educational program") from McGill University qualified for the s. 56(3) scholarship exemption, Boyle J stated (at para. 19) "that in this case it appears clear that the purpose and structure of the post-doctoral fellow program was the continued training and education of the fellows within a fixed period of time following the receipt of their doctoral degree."
Topics and taglines
Words and phrases
d7 import status
Drupal 7 entity type
Node
Drupal 7 entity ID
333659
Extra import data
{
"field_legacy_header": "<strong><em><a name=\"Lahlou\"></a>Lahlou v. The Queen</em></strong>, 2014 DTC 1010 [at 2540], 2014 TCC 16",
"field_override_history": false,
"field_sid": "",
"field_topic_category": "seealso"
}
"field_legacy_header": "<strong><em><a name=\"Lahlou\"></a>Lahlou v. The Queen</em></strong>, 2014 DTC 1010 [at 2540], 2014 TCC 16",
"field_override_history": false,
"field_sid": "",
"field_topic_category": "seealso"
}