Précis: The taxpayer originally claimed a partnership loss of roughly $88,000 in her 2001 taxation year. The Minister reduced that loss by roughly $20,000 under the terms of a settlement agreement with the partnership. The taxpayer claimed that the reassessment was ineffective because she did not authorize the settlement and did not receive a copy of the Minister’s Notice of Determination and Notice of Redetermination of Loss (the “Determination”). She also claimed interest relief because of the alleged delay of the Minister in reassessing her 2001 taxation year:
Menzies v. R. - TCC: Tax Court has no jurisdiction over fairness reliefREAD MORE »