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Tag Archives: CANADIAN ACCOUNTING & TAX BLOGS

Explore Canadian Accounting & Tax Blogs by Tax Partners Oshawa. Stay informed on tax tips, accounting insights, and CRA updates for individuals and businesses.

Director’s Liability Limitation Period: A Canadian Tax Professional’s Guide

Introduction: Understanding Director’s Liability Corporate directors in Canada can be held personally responsible for unpaid GST/HST or payroll remittances owed by their corporations. However, this responsibility is subject to specific legal restrictions. The Canada Revenue Agency (CRA) cannot pursue directors indefinitely or without meeting certain statutory requirements.  This article outlines the conditions under which directors […]

Penalties vs. Taxes: What’s the Difference?

Am I Being Taxed or Penalized? Receiving an unexpected assessment from the Canada Revenue Agency (CRA) can feel overwhelming, often leaving taxpayers questioning whether they are being penalized or taxed. While taxes and penalties may seem similar, they serve different purposes and have distinct implications.  Understanding these differences is crucial when addressing CRA assessments and […]

Why Filing Tax Returns is Essential: A Comprehensive Guide

It’s Tax Season Again… Why Filing Your Tax Returns Matters Filing a tax return might feel unnecessary, especially if you’re not legally required to file, but avoiding it can lead to significant financial and legal consequences. Here’s a breakdown of why filing your tax returns—on time—is essential for every Canadian taxpayer. The Consequences of Late […]

Canada – Repeated Failure to File Income Tax Penalty: What You Need to Know

Introduction: Repeated Failure to File Income Tax Penalty Under Canada’s income tax system, taxpayers are obligated to calculate, report, and pay their taxes by the applicable deadlines. While most Canadians comply with these requirements, some fail to file or pay their taxes on time. To ensure compliance, the Canada Revenue Agency (CRA) enforces penalties, including […]

Canada – Understanding Income Tax Statute-Barred Periods

What is an Income Tax Statute-Barred Period? When taxpayers are initially assessed for income tax or GST/HST, they receive a Notice of Assessment. If changes are needed to a prior assessment, the CRA issues a Notice of Reassessment, which overrides earlier assessments. Taxpayers can receive multiple Notices of Reassessment for the same tax year or […]

Canada – Can’t Pay Your Taxes? A Primer on When the CRA Grants Taxpayer Relief on Penalties and Interest

What is a Taxpayer Relief Application? When taxpayers are unable to meet tax payment deadlines or fulfill their obligations due to personal misfortune or uncontrollable circumstances, the CRA typically imposes penalties and interest. Fortunately, subsection 220(3.1) of the Income Tax Act allows the CRA to waive penalties or interest at their discretion or upon the […]

Tax Debt

Canada – Have Personal Tax Debt That’s More Than 10 Years Old? You May Not Have to Pay the CRA

Introduction: CRA’s Limitations on Collecting Old Tax Debt If you have an unpaid tax liability that’s over 10 years old, the Canada Revenue Agency (CRA) may no longer be able to collect it, especially if they haven’t contacted you for collection purposes. The Income Tax Act grants the CRA extensive powers to collect tax debts, […]

CRA Cryptocurrency

Canada – Made a Mistake on Your Tax Return? Here’s How to Change It Through the Tax Objections Process

Introduction: The Canadian Tax Objections Process Under subsection 165(1) of Canada’s Income Tax Act, every taxpayer has the right to object to a tax assessment or reassessment, provided they meet the statutory time limits and procedural requirements. This process begins when a taxpayer files a Notice of Objection.  The CRA’s Appeals Division will then assign […]

Working From Home

Canada – Do I Have to Submit to an Oral Interview During a Tax Audit? CRA Policy Explained

Introduction: CRA’s Power to Compel Oral Interviews Since December 15, 2022, the Canada Revenue Agency (CRA) has the authority to require taxpayers or relevant individuals to attend oral interviews during a tax audit. This power stems from the Federal Court case Minister of National Revenue v Cameco Corporation, 2019 FCA 67 and subsequent legislative changes […]