Morscher v. MNR, 92 DTC 2214, [1992] 2 CTC 2534 (TCC) -- summary under Paragraph 20(1)(c)

By services, 28 November, 2015

The taxpayer, who carried on a commercial litigation practice in partnership with another lawyer, was denied the deduction of interest which Revenue Canada alleged related to partnership drawings in excess of the profit reported in the computation of income for purposes of the Act. The taxpayer was successful in characterizing the alleged excess borrowings as relating to the financing of work in progress of the partnership.

In obiter dicta, Brulé J. defined the word "interest".

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