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Rotfleisch & Samulovitch P.C.
 
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Tel: +1 416 367 4222
Fax: +1 416 367 8649
2822 Danforth Avenue
Toronto
Ontario
M4C 1M1
Canada
By David Rotfleisch
The Canada Revenue Agency has a wide variety of powers at its disposal to collect tax amounts owing from taxpayers with unpaid tax assessments.
By David Rotfleisch
A taxpayer's interaction with the Canada Revenue Agency (the "CRA") can give rise to a variety of emotions and results: some good, some bad, and some very bad.
By David Rotfleisch
There has been a whirlwind of activity with respect to tax legislation during the Honourable Bill Morneau's stint as Canada's Minister of Finance.
By David Rotfleisch
The tax protesters were arrested and then released on a promise to appear and with court imposed bail conditions.
By David Rotfleisch
In our previous article we discussed the definition of business and analysed the tests for, and the consequences of, carrying on business in Canada.
By David Rotfleisch
In Part 3 of this series, our Canadian tax lawyers provide their top year-end tax-reduction strategies concerning investments.
By David Rotfleisch
Cryptocurrencies such as Bitcoin, Dash, Ether, Litecoin, Ethereum and Ripple have been the subject of intense media coverage in recent months due to their general astronomical surge in value.
By David Rotfleisch
Morneau quickly back pedaled on a significant number of the changes following public comment.
By David Rotfleisch
While merely holding bitcoin, dash, or other cryptocurrency does not give rise to tax, the sale will result in a capital gain or full income inclusion.
By David Rotfleisch
Charitable donations serve to improve the quality of life for many Canadians. But donating to charity can also serve to reduce your overall tax burden.
By David Rotfleisch
The year is almost done, and it's time to take advantage of business tax-planning strategies that will reduce your income-tax burden for the 2017 tax year.
By David Rotfleisch
While CRA has not responded to any of the submissions about the proposed changes to the voluntary disclosure program we are advised by CRA employees that their systems are being updated...
By David Rotfleisch
Where a non-resident of Canada is determined to be carrying on business in Canada, the non-resident will be required to file Canadian income tax returns ...
By David Rotfleisch
While postal code based audits are not new, CRA's formalization of the project is.
By David Rotfleisch
In Sarmadi v. Canada, 2017 FCA 131, the appellant taxpayer appealed to the Federal Court of Appeal from the decision of the Tax Court of Canada to deny his appeal.
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