Interest income earned by the taxpayer, who was an Indian but who did not reside on a reserve, on GICs purchased by the taxpayer from branches of a trust company in Saskatoon and in Edmonton was not exempt notwithstanding that the trust company was owned by an Indian band that primarily had Indians as it depositors and which invested a portion of its funds on Indian reserves.
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Drupal 7 entity type
Node
Drupal 7 entity ID
333273
Extra import data
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"field_legacy_header": "<strong><em>Stigen v. The Queen</em></strong>, 2008 DTC 4342, 2008 TCC 405",
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