The Reasonability Requirement for Administrative Suspension of EFILE Rights: A Canadian Tax Lawyer Case Analysis of Virgen v Canada (Attorney General) & The Global ‘Buzz’ Behind the Automation of Tax Filing and Assessment Processes
Sweet v Canada: Federal Court of Canada Certified Privacy Breach Class Action on Canada Revenue Agency; A Case Comment by an Expert Canadian Tax Lawyer
Quebec’s Form TP-1097.PV and the Canada Revenue Agency’s Disclosure Policy Concerning Counter Letters: A Canadian Tax Lawyer’s Summary
New Canada Revenue Agency (CRA) policy on Taxable Benefits regarding gifts, awards, social events, parking, etc.: A Tax Alert by an Expert Canadian Tax Lawyer
Scholarship, Bursaries and Fellowships Taxation: Guidance From a Canadian Tax Lawyer
Another Historical Development in Claiming Negligence Against the CRA: Myers v Canada (Attorney General), 2022 BCCA 160
Using Promissory Notes to Distribute Trust Income to Beneficiaries: A Canadian Tax Lawyer’s Analysis
Singh v. Canada: A Canadian Tax Lawyer’s Observations on TFSA Penalties
The Tax Liability for DAO Profits and Token Disposition: A Canadian Crypto Tax Lawyer Guide