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Income Taxes (Narrative) (Details) (USD $)
In Thousands, unless otherwise specified
3 Months Ended 6 Months Ended 12 Months Ended
Jun. 30, 2013
Jun. 30, 2012
Jun. 30, 2013
Jun. 30, 2012
Jun. 30, 2013
Unrestricted [Member]
Jun. 30, 2012
Unrestricted [Member]
Jun. 30, 2013
Restricted [Member]
Jun. 30, 2012
Restricted [Member]
Dec. 31, 2008
Operating Loss Carryforwards Per Annum Until 2008 [Member]
Dec. 31, 2009
Operating Loss Carryforwards Per Year After 2008 [Member]
Dec. 31, 2008
Operating Loss Carryforwards Per Year After 2008 [Member]
Income tax expense (recovery) $ (500) $ (287) $ (853) $ 26              
Current Income Tax Expense (Benefit) (76) (28) (104) 46              
Deferred Income Tax Expense (Benefit) (424) (259) (749) (20)              
Deferred Tax Assets 28,328 28,803 28,328 28,803              
Operating loss carryforwards         $ 57,000 $ 54,500 $ 28,800 $ 28,200 $ 2,500 $ 1,700  
Operating Loss Carryforwards, Expiration Date     The net operating loss carry forwards expire between 2024 and 2033.                
Operating Loss Carryforwards, Limitations on Use     The Company’s utilization of restricted net operating tax loss carry forwards against future income for tax purposes is restricted pursuant to the “change in ownership” rules in Section 382 of the Internal Revenue Code. These rules, in general, provide that an ownership change occurs when the percentage shareholdings of 5% direct or indirect stockholders of a loss corporation have, in aggregate, increased by more than 50 percentage points during the immediately preceding three years. The Company’s utilization of restricted net operating tax loss carry forwards against future income for tax purposes is restricted pursuant to the “change in ownership” rules in Section 382 of the Internal Revenue Code. These rules, in general, provide that an ownership change occurs when the percentage shareholdings of 5% direct or indirect stockholders of a loss corporation have, in aggregate, increased by more than 50 percentage points during the immediately preceding three years.           The Company’s utilization of restricted net operating tax loss carry forwards against future income for tax purposes is restricted pursuant to the “change in ownership” rules in Section 382 of the Internal Revenue Code. These rules, in general, provide that an ownership change occurs when the percentage shareholdings of 5% direct or indirect stockholders of a loss corporation have, in aggregate, increased by more than 50 percentage points during the immediately preceding three years. The Company’s utilization of restricted net operating tax loss carry forwards against future income for tax purposes is restricted pursuant to the “change in ownership” rules in Section 382 of the Internal Revenue Code. These rules, in general, provide that an ownership change occurs when the percentage shareholdings of 5% direct or indirect stockholders of a loss corporation have, in aggregate, increased by more than 50 percentage points during the immediately preceding three years.