Articles

About ArticlesLes articles ci-dessous sont publiés par la Section du droit fiscal de l'Association du Barreau de l'Ontario. Les membres sont invités à soumettre des articles.  A propos des articles.

Rédacteurs :  Leigh Somerville Taylor, Jonathan C.G. Bright and Rachel A. Gold

Aujourdʼhui
Aujourdʼhui

A Challenge of the Underlying Corporate Assessment leads to Director’s Liability Appeal Allowed in Full – a Review of Tran v. The Queen (2021 TCC 51)

  • 08 octobre 2021
  • Selena Ing and Felix Wu

In Tran v. The Queen, the Appellant successfully disputed a director's liability assessment by challenging the underlying assessment. The Appellant proved that the T4s relied upon by the Minister were overstated. The Crown did not challenge this evidence. As the Crown failed to adduce evidence to reduce the underlying assessment, the Tax Court concluded that the underlying assessment was incorrect and found in favour of the Appellant.

Student Forum, Droit fiscal

CRA Follows IRS

  • 05 juin 2021
  • Kathryn Walker

The Federal Court ordered that the Minister is authorized to impose on Coinsquare a requirement relating to unnamed persons.  The result is that Coinsquare must produce the requested documents and information about its customers to the CRA.

Student Forum, Droit fiscal

Women in Tax: Q&A with Zahra Nurmohamed, Tax Counsel and Senior Director of Professional Development at KPMG Law LLP

  • 05 juin 2021
  • Zahra Nurmohamed

Zahra Nurmohamed is an award-winning tax practitioner and former partner in the Toronto office of KPMG Law LLP with over 20 years of experience in Canadian corporate tax matters. She currently serves as Tax Counsel and Senior Director of Professional Development at KPMG Law LLP where she leads the strategic direction and implementation of KPMG Law’s student and associate programs.

Student Forum, Droit fiscal

The Delicate Balance Between Taxpayer Certainty and Abusive Taxation Avoidance Under the Income Tax Act: Refining the Minister's Use of the GAAR

  • 12 avril 2021
  • Marco Iampieri

There is an uncertain relationship among the concepts of the General Anti-Avoidance Rule ("GAAR"), the normal assessment period, and the role of a taxpayer's state of mind or intention at the time of self-assessment. The uncertain relationship arises when the Minister of National Revenue issues a GAAR (re)assessment after the normal assessment period on a taxpayer with a good faith tax filing position.

Droit fiscal