Articles 2021

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Today

TCC Upholds Penalties: Novel Arguments Fail to Save the Day

  • April 14, 2014
  • John A. Sorensen

In a recent case on gross negligence penalties, Morton v. The Queen, the Tax Court of Canada took a common sense approach to a taxpayer's technical legal arguments with regard to his abusive behaviour.

Taxation Law

A Recap of the New Restrictive Covenant Rules

  • April 14, 2014
  • Andrea Tratnik

The new rules on restrictive covenants, after a decade of discussion, have been law for less than a year. This article discusses operation of the rules and some potential issues.

Taxation Law

CCPC Status: De Jure Control and the Role of the Unanimous Shareholders' Agreement Addressed in Bagtech

  • April 14, 2014
  • Peter Aprile

The Federal Court of Appeal recently addressed the role of a unanimous shareholders' agreement in determining control of a corporation in the context of deciding whether it qualified as a CCPC. The specific issue in the case was the availability of SR&ED input tax credits, though the Court's decision regarding shareholders' agreements has broader implications for determining control and CCPC status.

Taxation Law

The Brent Kern Family Trust v. The Queen

  • March 04, 2014
  • Robert G. Kepes B.C.L., LL.B, TEP

Brent Kern applied the watershed decision of the Federal Court of Appeal in R. v. Sommerer. The traditional positions of the parties were reversed, with the Minister of National Revenue arguing that subsection 75(2) of the Income Tax Act did not apply to the Appellant, and the Appellant argued that it did apply.

Taxation Law

Jarvis Principles Under Siege in Piersanti v. The Queen

  • January 13, 2014
  • Glen Jennings, Stevan Novoselac and John Sorensen

The recent decision in Piersanti v. The Queen offers an important lesson for both tax professionals and criminal defence counsel: taxpayers who do not challenge the admissibility of evidence risk having that evidence used against them in subsequent civil tax proceedings.

Taxation Law