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Published: March 28, 2021

Last Updated: April 26, 2021

Prince v MNR (2020 FCA 32) illustrates that the Canada Revenue Agency’s tax-reassessment powers come with few limits. The Federal Court of Appeal held that the Canada Revenue Agency could validly reassess a taxpayer even though the taxpayer’s unresolved voluntary-disclosure application might bear on the correctness of those reassessments.

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"This article provides information of a general nature only. It is only current at the posting date. It is not updated and it may no longer be current. It does not provide legal advice nor can it or should it be relied upon. All tax situations are specific to their facts and will differ from the situations in the articles. If you have specific legal questions you should consult a lawyer."

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