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Canada Emergency Wage Subsidy (“CEWS”) Audits - What Canadian Businesses Need to Know - KR Law Firm - Tax Law Firm in Toronto
Tax

Canada Emergency Wage Subsidy (“CEWS”) Audits

During the COVID-19 pandemic, over 340,000 Canadian businesses received the Canada Emergency Wage Subsidy (CEWS), with businesses receiving around $100 billion in financial support from the Canadian government. Currently, the Canada Revenue…
July 3, 2024
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Tax

Canada Revenue Agency Unveils Mandatory Disclosure Rules Guidance

On July 6, 2023, the Canada Revenue Agency (CRA) announced new administrative guidance concerning revised mandatory disclosure rules included in the Income Tax Act (ITA), via the Budget Implementation Act (Bill C-47). Developed in consultation…
July 14, 2023
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Pen, calculator, and CRA form for understanding tax litigation in Toronto explained by KR Law Firm - A Canadian Tax Law Firm in Toronto
Tax

Tax Litigation in Canada: What You Need to Know

The world of tax law often seems daunting for many individuals and businesses. Consequently, when disputes with the Canada Revenue Agency (CRA) arise, it becomes crucial to grasp your rights and understand the litigation process. Hence, this…
June 23, 2023
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Court house building for understanding the Tax Court of Canada procedure and the Book of Documents, as explained by KR Law Firm - Tax Law Firm in Toronto
Tax

Tax Court of Canada Procedure: Understanding the Book of Documents

The Book of Documents (BOD) is a crucial part of the Tax Court of Canada Procedure. Serving as a comprehensive record of all evidence presented by both the taxpayer and the Canada Revenue Agency (CRA) in a given tax dispute, it is indispensable…
February 22, 2023
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Judge writing with gavel present during Tax Court of Canada - procedure and process guide, explained by KR Law Firm - Tax Law Firm in Toronto
Tax

Tax Court of Canada – Procedure & Process Guide

The Tax Court of Canada serves as an independent judicial body that handles tax-related cases, primarily disputes between taxpayers and the Canada Revenue Agency (CRA). Filing an Appeal When a taxpayer disputes a CRA decision, the first…
February 13, 2023
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Customer service representative reporting tax and benefit cheats as part of the CRA Leads Program, discussed in KR Law Firm's blog post - Tax Law Firm in Toronto
Tax

CRA Leads Program: Reporting Tax and Benefit Cheats

CRA's Initiatives: Leads Program  The CRA’s Leads Program enables individuals to report businesses, charities or individuals of tax or benefit cheating in Canada.  Examples of domestic tax cheating includes:  A Canadian business…
February 10, 2023
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Preparation and analysis of documents for challenging a CRA net worth audit, as explained in KR Law Firm's blog post - A Canadian Tax Law Firm in Toronto
Tax

How to Challenge a CRA Net Worth Audit

Under Subsection 152(7) of the Income Tax Act (ITA), and subsection 299(1) of the Excise Tax Act (ETA), the Minister of National Revenue isn't bound to accept information or returns from a taxpayer while determining their assessment. If…
February 1, 2023
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Sign at the Federal Court of Appeal, Federal Court, and Court Martial Appeal Court of Canada, related to the Khanna v. The Queen case on tax gross negligence penalties, as discussed in KR Law Firm's blog post - KR Law Firm - Tax Law Firm in Toronto
Tax

Khanna v. The Queen: A FCA Case on Tax Gross Negligence Penalties

The Federal Court of Appeal (FCA) case, Khanna v. The Queen, 2022 FCA 84, greatly impacts the gross-negligence penalties under subsection 163(2) of the Income Tax Act (ITA). Two key points emerge from this case. Firstly, for the imposition…
January 29, 2023
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CRA worker seated at a desk in a filing room surrounded by stacks of documents, representing the record keeping requirements of the CRA (Canada Revenue Agency) - KR Law Firm - Tax Law Firm in Toronto
Tax

CRA Record Keeping Requirements

Sections 230 and 230.1 of the Income Tax Act (“ITA”) set out taxpayers’ requirements to keep adequate books of account and records for tax purposes. Section 230(1) requires every person carrying on business or required to pay or…
January 25, 2022
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Two men discussing statutory interpretation in tax law, with one holding a magnifier examining the Income Tax Act letter, while the other asks about tax obligations - KR Law Firm - Tax Law Firm in Toronto
Tax

Statutory Interpretation in Tax law

Statutory interpretation is the process by which courts interpret and apply the law that is written in statutes. One of the challenges of interpreting a statute is that words often have more than one single meaning. Another challenge of…
December 7, 2021
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Courtroom scene with a judge, individuals, and a person speaking to the judge about invoking the General Anti-Avoidance Rule (GAAR) in tax planning - KR Law Firm - Tax Law Firm in Toronto
Tax

Application of General Anti-Avoidance Rule (GAAR) to Tax Planning

Understanding Tax Avoidance and Tax Evasion It is a principle of tax law that taxpayers are entitled to arrange their affairs to minimize the amount of taxes they are required to pay. On this basis, the law differentiates between tax “evasion”…
November 22, 2021
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Two men engaged in conversation while walking towards a meeting room discussing the investment restrictions on Registered Retirement Savings Plans (RRSPs) and the possibility of investing in Bitcoin - KR Law Firm - Tax Law Firm in Toronto
Tax

Investment Restrictions on Registered Plans

The Income Tax Act (“ITA”) imposes certain investment restrictions on registered plans.  Registered plans are only allowed to invest in property that is considered a “qualified investment.” These plans are also not allowed to invest…
November 8, 2021
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  • Canada Tax FAQs: File & Maximize Your Return
  • CRA Audit Letter
  • CRA Collections: Wage Garnishment, Frozen Accounts…
  • CRA Form RC4288
  • Failure to Report Income in Canada
  • Foreign Tax Identifying Number (FTIN)
  • Notice of Objection (T400A)
  • Taxation of Corporations
  • What Happens If You Owe the CRA Money and Cannot Pay?
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