Full text
the child of the taxpayer was resident in Canada immediately before the day on which the taxpayer died; and
the child of the taxpayer was resident in Canada immediately before the day on which the taxpayer died; and
the child of the taxpayer was resident in Canada immediately before the day on which the taxpayer died; and
the taxpayer shall be deemed to have, immediately before the taxpayer’s death, disposed of the property and received proceeds of disposition therefor equal to