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is deemed to be a capital gain of the taxpayer from the disposition of capital property in the year.
is deemed to be a capital gain of the taxpayer from the disposition of capital property in the year.
where the dividend was in respect of capital gains of the corporation from dispositions of property that occurred before February 28, 2000, and the taxation year of the taxpayer includes February 27, 2000, the dividend is deemed to be a capital gain of the taxpayer from the disposition by the taxpayer of a capital property in the year and before February 28, 2000,