Appellant
Respondent
Appellants: Jeremy Freedman and Joanne Lauria appealed Tax Court of Canada judgments rendered on October 13, 2021, in cases related to their 2006 income tax returns.
Central Issue: The main contention was whether the Minister of National Revenue had the authority to reassess the appellants outside of the normal reassessment period under subparagraph 152(4)(a)(i) of the Income Tax Act.
Tax Court's Decision: The Tax Court found that the Minister had the authority to reassess the appellants beyond the normal reassessment period.
Appeal's Basis: The appellants challenged the Tax Court's findings, arguing for an error in the judgment.
Federal Court of Appeal's Ruling:
Appellants' Request: They asked the court to reweigh evidence and substitute its views for those of the Tax Court Judge, which was outside the court's role.
Outcome: The Federal Court of Appeal dismissed the appeals with costs, upholding the Tax Court's decisions and methodology.
Court
Federal Court of AppealCase Number
A-311-21Practice Area
TaxationAmount
Winner
RespondentTrial Start Date
12 November 2021Download documents