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Author: John Loukidelis (page 8)

Reviewing your tax return

Posted on: October 16, 2023 Last updated on: October 12, 2023 Written by: John Loukidelis
The court upheld gross negligence penalties in Fransen v R, 2023 TCC 107, a Fiscal Arbitrators case, because the taxpayer had been wilfully blind (the test for which is discussed at paras 9ff) and because he had not bothered to…
Continue reading “Reviewing your tax return”…

Fair market value is a fact

Posted on: October 14, 2023 Last updated on: October 12, 2023 Written by: John Loukidelis
In R v Preston, 2023 FCA 178, rev’g 2021 TCC 79, the court (per Monaghan JA) held that fair market value was a fact that could be pleaded by the Crown as an assumption.
Continue reading “Fair market value is a fact”…

GAAR changes bad

Posted on: October 12, 2023 Last updated on: October 12, 2023 Written by: John Loukidelis
Subsection 245(3) will be amended so that a transaction will be an “avoidance transaction” if one of its main purposes is to obtain a tax benefit. Many more transactions will be avoidance transactions because tax considerations always play a major…
Continue reading “GAAR changes bad”…

Challenging the underlying assessment

Posted on: October 6, 2023 Last updated on: October 6, 2023 Written by: John Loukidelis
Yesterday, Amit Ummat gave an excellent short presentation about director liability under the Income Tax Act and Excise Tax Act at the HLA’s 16th Corporate-Commercial seminar. He referred to Duque v R, 2020 FCA 73, in which Webb JA said…
Continue reading “Challenging the underlying assessment”…

STEP submissions re AMT

Posted on: October 3, 2023 Last updated on: October 12, 2023 Written by: John Loukidelis
STEP has made some submissions (pdf) to Finance about the new AMT rules in the August 4 draft legislation as they apply to trusts. Because most trusts will not be entitled to claim the basic exemption for AMT purposes, they…
Continue reading “STEP submissions re AMT”…

No accountant privilege

Posted on: September 30, 2023 Last updated on: September 27, 2023 Written by: John Loukidelis
In Gaudreau c R, 2023 CCI 115, the Court was willing to consider the argument that an accountant’s planning memorandum need not be produced on discovery because it was not relevant. After duly considering the matter, the Court concluded the…
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Resurrection

Posted on: September 27, 2023 Last updated on: September 27, 2023 Written by: John Loukidelis
In Canada (Attorney General) v 18335898 Alberta Ltd (Whitecap Energy Inc), 2023 ABKB 357, the taxpayer wound-up and dissolved in 2020. All of its assets were transferred to its parent. The CRA audited the taxpayer’s 2017 and 2018 taxation years.…
Continue reading “Resurrection”…

Form of objection

Posted on: September 9, 2023 Last updated on: September 9, 2023 Written by: John Loukidelis
I have written before about the Tax Court’s tendency to give a liberal interpretation to what constitutes a “notice of objection”. I am a little surprised, then, that the CRA made an application to quash the appeal of the taxpayers…
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T2057 amended

Posted on: July 14, 2023 Last updated on: July 10, 2023 Written by: John Loukidelis
The CRA has amended the T2057 to make several significant changes. The form must now be accompanied by a calculation of the tax cost of the subject property, and the form must indicate whether an “independent assessment” of fair market…
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Reportable Transactions and Adviser Fees

Posted on: July 10, 2023 Last updated on: July 10, 2023 Written by: John Loukidelis
Last year, the Department of Finance proposed amendments to section 237.3 of the Income Tax Act (Canada) (the “Act”) that reduced to one the number of “hallmarks” that would trigger reporting on an avoidance transaction. In response, the Joint Committee…
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Guest post on the DTC

The following article on the disability tax credit was written by Tanya O’Connell, a former law clerk at Loukidelis Professional Corporation. The Disability Tax Credit (DTC) The DTC is a personal tax credit available under section 118.3 of the Income…
Continue reading “Guest post on the DTC”…

Inter-company loans

Subsection 15(1) of the Income Tax Act could apply where Aco loans money to Bco and Bco has no means of repaying the money. On the other hand, subsection 246(1) will not apply where Bco and its shareholder have no…
Continue reading “Inter-company loans”…

Change in use and flipping

The CRA has confirmed that a deemed disposition under subsection 45(1) of the Income Tax Act resulting from a change in use is not a disposition for the purposes of the flipping rules in subsections 12(12) and 12(13). See 2024-1027831C6.
Continue reading “Change in use and flipping”…

Swiss bank account trouble

In Azmayesh-Fard v R, 2025 TCC 20, the Court considered whether the CRA had properly reassessed a taxpayer beyond the normal reassessment period and imposed gross negligence penalties for unreported income from a Swiss bank account and for failing to…
Continue reading “Swiss bank account trouble”…

Price adjustment clause

An accounting colleague has reported to me on a CRA audit involving a price adjustment clause. The CRA challenged the valuation used for a transfer of property. The taxpayer and the CRA eventually agreed on a valuation that was about…
Continue reading “Price adjustment clause”…

Recent Posts

Guest post on the DTC

The following article on the disability tax credit was written by Tanya O’Connell, a former law clerk at Loukidelis Professional Corporation. The Disability Tax Credit (DTC) The DTC is a personal tax credit available under section 118.3 of the Income…
Continue reading “Guest post on the DTC”…

Inter-company loans

Subsection 15(1) of the Income Tax Act could apply where Aco loans money to Bco and Bco has no means of repaying the money. On the other hand, subsection 246(1) will not apply where Bco and its shareholder have no…
Continue reading “Inter-company loans”…

Change in use and flipping

The CRA has confirmed that a deemed disposition under subsection 45(1) of the Income Tax Act resulting from a change in use is not a disposition for the purposes of the flipping rules in subsections 12(12) and 12(13). See 2024-1027831C6.
Continue reading “Change in use and flipping”…

Swiss bank account trouble

In Azmayesh-Fard v R, 2025 TCC 20, the Court considered whether the CRA had properly reassessed a taxpayer beyond the normal reassessment period and imposed gross negligence penalties for unreported income from a Swiss bank account and for failing to…
Continue reading “Swiss bank account trouble”…

Price adjustment clause

An accounting colleague has reported to me on a CRA audit involving a price adjustment clause. The CRA challenged the valuation used for a transfer of property. The taxpayer and the CRA eventually agreed on a valuation that was about…
Continue reading “Price adjustment clause”…

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Archives

Categories

Recent Posts

Guest post on the DTC

The following article on the disability tax credit was written by Tanya O’Connell, a former law clerk at Loukidelis Professional Corporation. The Disability Tax Credit (DTC) The DTC is a personal tax credit available under section 118.3 of the Income…
Continue reading “Guest post on the DTC”…

Inter-company loans

Subsection 15(1) of the Income Tax Act could apply where Aco loans money to Bco and Bco has no means of repaying the money. On the other hand, subsection 246(1) will not apply where Bco and its shareholder have no…
Continue reading “Inter-company loans”…

Change in use and flipping

The CRA has confirmed that a deemed disposition under subsection 45(1) of the Income Tax Act resulting from a change in use is not a disposition for the purposes of the flipping rules in subsections 12(12) and 12(13). See 2024-1027831C6.
Continue reading “Change in use and flipping”…

Swiss bank account trouble

In Azmayesh-Fard v R, 2025 TCC 20, the Court considered whether the CRA had properly reassessed a taxpayer beyond the normal reassessment period and imposed gross negligence penalties for unreported income from a Swiss bank account and for failing to…
Continue reading “Swiss bank account trouble”…

Price adjustment clause

An accounting colleague has reported to me on a CRA audit involving a price adjustment clause. The CRA challenged the valuation used for a transfer of property. The taxpayer and the CRA eventually agreed on a valuation that was about…
Continue reading “Price adjustment clause”…

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