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MENUMENU
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Category: Director Liability

  • Corporate Taxation
  • Director Liability

Case Analysis Tran v Queen on Demolishing the Minister’s assumption in an Income Tax Section 227.1 Director’s Liability Case – Toronto Tax Lawyer Guide

Can Directors of a Corporation be Jointly and Severally Liable…
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  • Director Liability

Hamad v. The Queen: A Canadian Tax Lawyer’s Perspective on Due Diligence in Director Liability for Taxes

Background on Directors Liabilities for Taxes The Tax Court of…
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  • Director Liability

A Director can Avoid Income Tax Liability with Due Diligence

A corporate director can avoid income tax liability for unremitted…
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  • Director Liability

De Facto Directorship – Directors’ Liability for Tax — Toronto Tax Lawyer Analysis

Introduction — Directors’ Liability for Tax The Canadian Income Tax…
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  • Director Liability

Director Liable With His Corporation

A director is jointly and severally liable with his corporation…
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  • Director Liability

Director Liability for Unpaid Taxes – Canadian Tax Lawyer Analysis

Directors of Corporations have liabilities under various statutes, which, for…
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  • Director Liability

Canada V. Chriss – Directors Tax Liability Defences – Toronto Tax Lawyer Case Comment

Canada V. Chriss – Directors Tax Liability Defences – Toronto…
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  • Director Liability
  • Tax Cases

Concept Of De Facto Director

Concept of de facto director is of very limited application:…
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      Concept Of De Facto Director
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      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
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      Scholarship, Bursaries and Fellowships Taxation: Guidance From a Canadian Tax Lawyer
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      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
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      Another Historical Development in Claiming Negligence Against the CRA: Myers v Canada (Attorney General), 2022 BCCA 160
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      Using Promissory Notes to Distribute Trust Income to Beneficiaries: A Canadian Tax Lawyer’s Analysis
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      Singh v. Canada: A Canadian Tax Lawyer’s Observations on TFSA Penalties
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      The Tax Liability for DAO Profits and Token Disposition: A Canadian Crypto Tax Lawyer Guide
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      Richard T Mccullough v His Majesty the King: The Tax Court of Canada allows taxpayer’s travel expenses of getting to work denied by the CRA