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Category: Tax Assessments and Reassessments

  • Notice of Assessment
  • Tax Appeals and Litigation
  • Tax Assessments and Reassessments

When CRA Issues a Notice of Reassessment but Mails it to the Wrong Address, the Canadian Taxpayer Wins: Shaker v. The King, 2026 TCC 63

Overview: CRA’s Mailing Obligations and Taxpayer Appeal Rights Under the…
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  • Tax Assessments and Reassessments

Toews v. The King [2025 TCC 2024-239(IT)] – When CRA Reassesses You Beyond the Normal Period for Tax Shelters for Charitable Donations

Overview – You’re Reassessed for Tax Beyond the Normal Period:…
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  • Tax Assessments and Reassessments

Taxpayer’s Failure to Review Her Tax Return Contributed to Negligence, Tax Court of Canada Finds

In Lewis v The King, 2024 TCC 127, the Tax…
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  • Tax Appeals and Litigation
  • Tax Assessments and Reassessments

How not to Screw up Applying for an Extension of Time when Filing a Notice of Objection to a Re-assessment by CRA: DiPierdomenico v. The King

Introduction: Extension of Time Applications The Canada Revenue Agency regularly…
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  • Notice of Objection
  • Tax Assessments and Reassessments

A Canadian Tax Lawyer’s Perspective on Income Tax Statute-Barred Periods

What is an Income Tax statute-barred period? When taxpayers are…
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  • CRA Administration
  • Tax Assessments and Reassessments

What Can A Taxpayer Do If A CRA Decision Letter Is Unclear? – A Canadian Tax Lawyer’s Guide

INTRODUCTION: FEDERAL COURT RULES ON WHETHER CRA’S DECISION TO NOT…
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  • Tax Appeals and Litigation
  • Tax Assessments and Reassessments

Proper Canadian Tax Guidance Saves Taxpayer $100,000 – Canadian Tax Lawyer Case Study

Introduction: Tax Assessment under the Income Tax Act and Limitation…
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  • Tax Assessments and Reassessments

Amending Your Tax Returns Beyond Past the Normal Tax Reassessment Period – A Toronto Tax Lawyer Commentary on 1594418 Ontario Inc. v MNR

Introduction – Filing Deadline and Normal Tax Reassessment Period Under…
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  • CRA Collections
  • Tax Assessments and Reassessments

Double Derivative Tax Liability – Canadian Tax Lawyer Case Analysis

Double Derivative Tax Liability: The Federal Court of Appeal Broadens…
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  • CRA Collections
  • Tax Assessments and Reassessments
  • Third-party Tax Liability

Valid Consideration Under Enforceable Oral Contract – Canadian Tax Case Analysis

Brown v The Queen – Subsection 160(1) Valid Consideration Under…
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