Précis: The appellant was assessed for its taxation year ended December 31, 2006 on July 14, 2011. It filed an objection and, subsequently, an appeal to the Tax Court. It was again assessed in respect of the 2006 taxation year on April 19, 2013. That assessment increased its net taxable income by roughly $2 million.
Rio Tinto Alcan Inc. v. R. - TCC: Taxpayer allowed to amend notices of appeal to cover fresh reassessmentsREAD MORE »