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1-855-658-6698

  • Free Consultation
  • Legal Services
    • Tax Law Services
      • Bankruptcy and Tax Debt
      • Tax Disputes
      • CRA Audit
      • Tax Court of Canada
      • Director Liability
      • Voluntary Disclosure
      • Sections 160 & 325
      • Notice of Objection
      • Tax Debt
      • Taxpayer Relief
      • Tax Residence
      • Judicial Review
      • Federal Court of Appeal
      • Rectification of Legal Agreements
      • SR&ED
    • Business & Corporate Law Services
  • Case Studies
  • SR&ED
  • About
    • About
    • Team
    • Tax Lawyers
    • Contact Us
    • FAQ
    • Fees
      • Fee Arrangements
      • Payment
  • Tax Law Blog
    • Law Blog
    • Lexis Nexis
    • Mondaq

Consult with a Toronto Tax Lawyer

Tax Debt Problems

Options to avoid destruction of your personal or business finances, resolve the tax debt and continue any business operations…

Director Liability

A corporate director is jointly and severally liable, together with the corporation, for tax deemed to be held in trust for the government such as GST/HST and payroll deductions...

Tax Disputes

Has CRA treated you unfairly resulting in an assessment you don't agree with? Do you want to reverse an incorrect decision or audit outcome...

Tax Court of Canada

Extensive experience representing taxpayers before the Tax Court and Department of Justice Lawyers, in a cost-effective manner...

CRA Audit

A Tax Lawyer can act as an intermediary between you and the CRA auditor to relieve the stress and ensure proper procedures are followed and that you are treated fairly...

Voluntary Disclosure

Voluntarily disclose tax non-compliance through CRA’s VD program and receive relief from financial penalties, interest and criminal prosecution...

Avoid Bankruptcy

We can review your facts and advise if there are options to avoid bankruptcy, lower or erase the tax debt and protect against third-party liability...

Sections 160 & 325

A section 160 or 325 assessment can be successfully challenged with a Notice of Objection and/or an appeal to the Tax Court of Canada...

Notice of Objection

A Notice of Objection is the initiating document to an internal CRA appeal process that a taxpayer can follow to dispute a tax assessment prior to appealing to the Tax Court of Canada...

Judicial Review

Discretionary decisions of CRA officials, such as the denial of a Taxpayer Relief Application or Voluntary Disclosure, can be brought before the Federal Court for review...

Rectification

If a mistake in a written legal instrument leads to an unintended tax consequence a taxpayer has the right to request the court to correct the error...

Tax Litigation

Extensive experience representing taxpayers before the Tax Court and Department of Justice Lawyers, in a cost-effective manner...

Federal Court of Appeal

If you wish to appeal a Tax Court of Canada decision to the Federal Court of Appeal a Tax Lawyer must file the appeal within 30 days of the Tax Court of Canada ruling…

SR&ED

The SR&ED tax credit is a generous CRA program designed to encourage businesses to conduct research and development (R&D)...

Tax Residence

Canadian residents are taxed on their worldwide income and non-residents are taxed on income from Canadian sources. If CRA questions your residence you may enter a dispute...

Taxpayer Relief

CRA may grant relief from financial penalties and interest for extraordinary circumstances, actions of the CRA, inability to pay...

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