Fry v. The Queen, 2019 TCC 236
Jurisdiction | Federal Jurisdiction (Canada) |
Citation | 2019 TCC 236 |
Court | Tax Court (Canada) |
Date | 22 October 2019 |
-
- This document is available in original version only for vLex customers
View this document and try vLex for 7 days - TRY VLEX
- This document is available in original version only for vLex customers
2 practice notes
-
A Canadian Tax Lawyer's Perspective On Gross Negligence Penalties And Net Worth Tax Audits
...arguably just as likely to be an error in the net worth audit as it is to be an error by the taxpayer. For example, in Fry v. The Queen, 2019 TCC 236, the taxpayer was assessed for $6,566 of unreported income in 2013 as the result of a net worth audit. The judge found that this magnitude of......
-
A Canadian Tax Lawyer's Perspective On Gross Negligence Penalties And Net Worth Tax Audits
...arguably just as likely to be an error in the net worth audit as it is to be an error by the taxpayer. For example, in Fry v. The Queen, 2019 TCC 236, the taxpayer was assessed for $6,566 of unreported income in 2013 as the result of a net worth audit. The judge found that this magnitude of......
2 firm's commentaries
-
A Canadian Tax Lawyer's Perspective On Gross Negligence Penalties And Net Worth Tax Audits
...arguably just as likely to be an error in the net worth audit as it is to be an error by the taxpayer. For example, in Fry v. The Queen, 2019 TCC 236, the taxpayer was assessed for $6,566 of unreported income in 2013 as the result of a net worth audit. The judge found that this magnitude of......
-
A Canadian Tax Lawyer's Perspective On Gross Negligence Penalties And Net Worth Tax Audits
...arguably just as likely to be an error in the net worth audit as it is to be an error by the taxpayer. For example, in Fry v. The Queen, 2019 TCC 236, the taxpayer was assessed for $6,566 of unreported income in 2013 as the result of a net worth audit. The judge found that this magnitude of......