There is nothing preventing the imputation of income on a motion for interim spousal support; see, for example, Lavigne v. Maule, 2012 ONSC 5442 (CanLII) (Ont. S.C.J.), relied on by the applicant, where income was imputed to the payor on a motion for interim child support. The same rationale would apply to a motion for interim spousal support. DISCUSSION
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