Introduction The Federal Court’s recent decision in Spennie Holdings Inc. et al v. Attorney General of Canada (T-1197-25, released August 15, 2025) reaffirms established Canadian tax law. Taxpayers cannot circumvent the statutory appeal process in the Tax Court of Canada by filing judicial review applications in the Federal Court. This ruling...
Understanding the Departure Tax: A Guide for Canadians Leaving the Country Moving out of Canada is not always as simple as packing your bags and settling in a new country. For many individuals, it can lead to unexpected tax consequences—most notably, the departure tax. The departure tax arises from...
Canada Strengthens Mandatory Disclosure Rules: What You Need to Know On June 22, 2023, the Income Tax Act was amended to enhance Canada’s mandatory disclosure rules, which are contained in Sections 237.3 to 237.5. These enhanced rules are designed to provide the Canada Revenue Agency (CRA) with earlier and...
Notice of Appeal filed after deadline In June 2025, the Tax Court of Canada (TCC) handed down the decision in Schwarz v. HMK, 2025 TCC 86, dismissing the taxpayer’s request for an extension of time to file an appeal in respect of his 2008 to 2014 taxation years. A...
In Canadian tax law, members of a syndicate are generally treated the same when it comes to the tax consequences of their collective activities. The Income Tax Act does not define or explain the treatment of syndicate members. Rather, tax case law has dealt with this issue. The tax...




