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Searching Content indexed under Tax Authorities by Josiah Edwards Davis ordered by Published Date Descending.
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Keep Your Eye On The Time: Timing Liability Under Subsection 160(1) In Eyeball Networks
In Eyeball Networks, the TCC alerted tax planners to the pitfalls of issuing and cancelling a promissory note with nominal value in the context of a tax-neutral rollover under section 85 of the ITA
Canada
4 Sep 2019
2
Accountant Work Product Not Privileged And Must Be Produced To CRA: Canada v. Atlas Tube Canada ULC
In Canada v. Atlas Tube Canada ULC, the Federal Court (FC) ordered a draft due diligence report prepared by Ernst & Young LLP (Canada) to be produced to the Canada Revenue Agency (CRA).
Canada
21 Dec 2018
3
No Rubbing Salt In The Wound: The Canada Revenue Agency Provides Tax Relief For Losses From Fraudulent Investment Schemes
Taxpayers victimized by fraudulent investment schemes ("Fraudulent Investment Schemes") may find some relief by deducting their losses. Recent Canada Revenue Agency ("CRA") administrative statements...
Canada
19 Sep 2018
4
Canada Revenue Agency's Dogged Pursuit Of Offshore Accounts: Clarifying The Scope Of Compliance Orders In Canada v Stankovic
The Federal Court's ("FC") ruling in Canada v Stankovic, 2018 FC 462 illustrates how the Canada Revenue Agency ("CRA") persistently pursues taxpayers with undisclosed offshore accounts.
Canada
16 May 2018
5
Clarifying The Uses Of Amended Returns In Vine Estate v. Canada
The Federal Court of Appeal's ruling in Vine Estate v. Canada reminds taxpayers of the importance of filing their original tax return correctly and applying the appropriate degree of care in the process.
Canada
20 Feb 2018
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