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Contact a Tax Lawyer
MENUMENU
  • Toronto Tax Lawyer
  • About
    • Articling Program
    • Canadian Tax Lawyers
    • Case Results
    • Case Studies
    • Certified Specialists in Taxation
    • Company Profile
    • Leadership Team
  • Tax Resources
    • Articles & tips
    • Canadian Accountant Articles
    • Definitions
    • Media Appearances
    • News Releases
    • Related Links
    • Videos
    • Television
    • Tax Forms
  • Tax Services
        • Tax Solutions
          • CRA Tax Audits
          • Unfiled Taxes
          • Net Worth Audits
          • Taxes Owing & Liens
          • Tax Minimization
          • CRA & Bitcoin Taxation
        • Voluntary Disclosure
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          • Unreported Offshore Income
          • Unreported Foreign Pension
          • Unreported Internet Income
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          • Succession Will, Estate and Tax Planning Ontario
          • Tax Problems & Representation
          • Tax Shelters
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          • Butterfly Transactions
          • Incorporations
          • Business Agreements
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Category: Tax Court of Canada

  • Tax Appeals and Litigation
  • Tax Court of Canada

Tax Litigants May Amend Their Arguments During a Trial – A Toronto Tax Lawyer Analysis of The Queen v Pomeroy Acquireco Ltd

Introduction – Amending Replies During Tax Litigation In the course…
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  • Tax Court of Canada

Tax Litigators May Represent Corporations in Canada Tax Court Appeals

Introduction – Appeals to the Tax Court of Canada Canada’s…
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  • Tax Court of Canada

The Case of Muir v Queen – A Canadian Tax Lawyer’s Perspective

Section 160 of the Income Tax Act The Tax Court of…
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  • Tax Cases
  • Tax Court of Canada

Tax Court Order for Particulars

Lancan Investments Inc v The Queen_ (2015 TCC 27) was…
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  • Tax Court of Canada

Canadian Tax Issues Involving The Concept of Agency – A Canadian Tax Lawyer’s Analysis

Introduction – Canadian Tax Issues Involving Agents Agency is a…
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  • Tax Court of Canada

Windfalls in Canada – A Canadian Tax Lawyers Perspective

What are Tax Windfalls? Windfalls are various categories of unexpected…
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  • Tax Court of Canada

The CRA’s Response to Federal Court of Appeal’s Decision that A Taxpayer Need Not Answer Questions During a CRA Tax Audit – A Canadian Tax Lawyer’s Analysis

Introduction: Tax Audit Questions & MNR v Cameco Corporation In…
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      Certified by the Law Society of Ontario as a Specialist in Taxation Law

      The CRA’s Response to Federal Court of Appeal’s Decision that A Taxpayer Need Not Answer Questions During a CRA Tax Audit – A Canadian Tax Lawyer’s Analysis
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      Canadian taxation of U.S. not tax-deductible: Roth IRAs and 401(k) accounts
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      Federal government introduces new trust reporting rules to take effect in 2023 taxation year – Trustees need to be prepared.
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      Everything You Need to Know About the Underused Housing Tax (2022), on vacant or underused housing in Canada
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      Guide to the Canadian Tax Treatment of Halal Mortgages: Halal Mortgages are Shari’ah-compliant but Taxable in Canada
      Gordon et al v The King: CRA’s investigation on SR&ED tax credits cannot use its civil tax audit power to gather information for a criminal investigation
      Ways to Deal with a Cryptocurrency Tax Audit
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      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
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      Quebec’s Form TP-1097.PV and the Canada Revenue Agency’s Disclosure Policy Concerning Counter Letters: A Canadian Tax Lawyer’s Summary