Williams Gold Refining Co. of Canada v. The Queen, 2000 DTC 1829 (TCC) -- summary under Subparagraph 20(1)(p)(i)

By services, 28 November, 2015

The value of services provided by employees of the taxpayer to assist a sister company represented revenues notwithstanding that the amounts (which ultimately proved uncollectible) were inappropriately deducted from the taxpayer's wage expense for the year rather than recorded as revenue.

Topics and taglines
Tagline
debiting receivable to expense did not preclude write-off
d7 import status
Drupal 7 entity type
Node
Drupal 7 entity ID
336187
Extra import data
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"field_legacy_header": "<strong><em>Williams Gold Refining Co. of Canada Ltd. v. The Queen</em></strong>, 2000 DTC 1829, Docket: 96-4709-IT-G (TCC) <strong>[debiting receivable to expense did not preclude write-off]</strong>",
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