Tax

  • July 09, 2024

    Muslim charity’s Charter case against CRA stalls again in wake of Ontario Court of Appeal ruling

    A lawsuit launched by the Muslim Association of Canada (MAC) against the Canada Revenue Agency (CRA) claiming that an extensive CRA audit violated the religious nonprofit’s Charter rights will remain on hold following a decision by the Ontario Court of Appeal.

  • July 09, 2024

    The problems of dying intestate with minor children

    A person who dies “intestate” is one who dies without leaving a valid will. A valid will provides for who should administer the estate, who should benefit from the estate and the terms on which the beneficiaries inherit. If you die without a will in place, your estate will be governed by intestacy laws, which may not reflect your wishes.

  • July 08, 2024

    Manitoba regulator running mental wellness challenge for lawyers

    The new president of Manitoba’s law society is hoping an ongoing “wellness challenge” for lawyers will put them on the path to minding their mental health while at work. The Law Society of Manitoba’s (LSM) Wellness Challenge 2024, the first of its kind by the regulator, is a voluntary project where participants engage in various wellness activities over an eight-week period. The activities, grouped into two-week slots, began June 17 and will run through to Aug. 9.

  • July 05, 2024

    SCC-bound case challenges refusal to publicly disclose court records revealing civil case delays

    Does the principle of judicial independence enable judicial leaders to veto, in their absolute discretion, the public release of court records that reveal the extent of civil trial delays in the courts they administer? Absent transparency about courts’ operational performance, is the judicial branch of government sufficiently accountable to the public for its role in managing the courts?

  • July 05, 2024

    Canada’s Capital Gains Tax and the exodus to the U.S.

    There may be a change coming to the way Canada taxes capital gains. While Prime Minister Justine Trudeau claims it will affect a minuscule percentage of Canadians, it has more than a minuscule percentage of Canadian taxpayers on edge. The new taxing regime is complex, with 56 pages of guidance. While some taxpayers are already subject to a capital gains tax inclusion rate (meaning the amount of capital gain that is currently included in computing a taxpayer’s income) of 50 per cent on their realized gains, the capital gains inclusion rate under the taxing regime will exceed 66 per cent on some assets in certain circumstances.

  • July 03, 2024

    New partner for Aird & Berlis

    Aird & Berlis has announced that Pavle Levkovic has joined the firm as a partner and member of litigation and construction groups.

  • July 03, 2024

    New associate joins Torkin Manes

    A recent news release from Torkin Manes LLP announced the addition of Joseph Eid as an associate in the firm’s tax and private client services groups.

  • June 28, 2024

    SCC settles confusion in tax disputes about jurisdictional boundaries of Federal and Tax Courts

    In judgments that clarify the jurisdictional boundaries between the Federal Court and the Tax Court in tax disputes, the Supreme Court of Canada has rejected separate appeals by two Canadian companies who challenged how their taxes were assessed by the Canada Revenue Agency (CRA).

  • June 28, 2024

    Veteran Toronto lawyer starts term as LSO treasurer

    The Law Society of Ontario’s (LSO) new treasurer praised his predecessor, spoke of past accomplishments and talked about “ceremony, fellowship and policy.” The LSO’s June 28 Convocation featured remarks by newly elected treasurer Peter Wardle, a Toronto-based commercial litigation and professional liability lawyer who will serve in the role for the 2024-25 term.

  • June 28, 2024

    FEDERAL INCOME TAX — Duties and powers of Minister and officials — Tax Court of Canada — Federal Courts

    Appeal by Dow Chemical Canada ULC (Dow Canada) from a judgment of the Federal Court of Appeal which determined that the Federal Court had exclusive jurisdiction to review the Minister of National Revenue’s (Minister) decisions under s. 247(10) of the Income Tax Act (ITA).

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