Large Corporations and the Fine Line between “Issues” and “Reasons” – Canadian Imperial Bank of Commerce v. The QueenREAD MORE »
Ficek v. R. – FCt: CRA Intentionally Delayed Processing Returns to Avoid Issuing Refunds to Tax Shelter InvestorsREAD MORE »
Daishowa Marubeni International Ltd. v. Canada – Supreme Court of Canada Endorses “Symmetry and Fairness” in the Interpretation of Taxation StatutesREAD MORE »
Myrdan Investments Inc. v. The Queen – Taxpayers Awarded One Third of Their Out of Pocket Costs (154% of the Tarriff) Because of CRA’s IntransigenceREAD MORE »