Appellant
Respondent
- Parties: The appellant was His Majesty the King. The respondent was LBL Holdings Limited.
- Subject Matter: This appeal sought to set aside the Tax Court of Canada's judgment, which allowed the respondent’s appeal to the Minister of National Revenue’s reassessment of the respondent’s Jan. 1, 1999 to Feb. 29, 2000 monthly GST reporting periods and vacated the reassessment. This case is ongoing.
- Date: The hearing was set on May 29, 2024.
- Venue: This was a federal case before the Federal Court of Appeal.
- Amount: No financial award was specified.
Court
Federal Court of AppealCase Number
A-259-23Practice Area
TaxationAmount
Winner
Trial Start Date
30 September 2023Download documents