(See also Boivin v. The Queen, 2008 DTC 4211, 2007 TCC 722.)
Interest income received by a registered Indian, who resided on a reserve, from deposit certificates issued by a credit union situate on the reserve was not exempt.
(See also Boivin v. The Queen, 2008 DTC 4211, 2007 TCC 722.)
Interest income received by a registered Indian, who resided on a reserve, from deposit certificates issued by a credit union situate on the reserve was not exempt.