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Informal Procedure Tax Court of Canada

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Presentation on theme: "Informal Procedure Tax Court of Canada"— Presentation transcript:

1 Informal Procedure Tax Court of Canada
Chief Justice Eugene Rossiter, Tax Court of Canada Justice Wyman W. Webb, Federal Court of Appeal

2 Aim of the Informal Procedure
Differences between the Informal Procedure and the General Procedure Differences between the Tax Court and the Federal Court of Appeal

3 Tax Court statistics

4 Considerations for an agent before deciding to represent a taxpayer on an appeal to the Tax Court
Before Federal Court of Appeal – the individual taxpayer can act in person or be represented by a solicitor (Rule 119) Rule 121 provides for a possible exception, in special circumstances and with Court approval, if the individual taxpayer is under a legal disability

5 Feeling of a taxpayer that the auditor’s treatment was unfair – can the Tax Court consider this?

6 Importance of pleadings
What information does the Tax Court have before the appeal is heard? What information does the Federal Court of Appeal have before the appeal is heard?

7 How important is preparation?

8 Scheduling of cases Adjournments

9 Most common mistakes made by self-represented taxpayers

10 Rules of evidence Witnesses Documents

11 Should the taxpayer attend the hearing?

12 Pre-hearing discussions with witnesses

13 Settlements – When? Where? How? Why?


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