Précis: This is likely almost the tail end of the Klundert saga. Mrs. Klundert’s husband, a tax protester optometrist, directed Ontario Health Insurance Plan payments to her bank account at a time when he owed substantial amounts of in income tax. CRA assessed Mrs. Klundert pursuant to subsection 160(1) and she appealed unsuccessfully to the Tax Court. She appealed to the Federal Court of Appeal and her appeal was dismissed from the Bench, with costs.
Klundert v. R. - FCA: Mrs. Klundert’s subsection 160(1) appeal dismissed from the BenchREAD MORE »