Watts v. The Queen, 2004 DTC 3111, 2004 TCC 535 (Informal Procedure) -- summary under Paragraph 56(1)(a)

By services, 28 November, 2015

Periodic disability payments received by the taxpayer under the Canada Pension Plan were not received in respect of a "disability insurance plan" and instead were taxable under s. 56(1)(a). Bowman, ACJ stated (at para. 18):

"Insurance is essentially a contractual arrangement between an insured and an insurer and involves an obligation by an insurer, upon payment of premiums, to pay an amount upon an event whose recurrence is in a certain period."

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