The Supreme Court of Canada released decisions in four cases in the 2012 year. We argue that each illustrates the Court\u27s formalistic approach to interpreting tax legislation. Each of the following four cases is evaluated in turn. Canada v Craig relates to the circumstances under which a taxpayer can offset losses incurred in a farming business against income earned from a completely different source. Fundy Settlement v Canada required determining the residency of a trust for tax purposes. Canada v GlaxoSmithKline Inc. focused on the circumstances to be taken into account in determining an arm\u27s-length price in the transfer pricing context. Finally, Calgary (City) v Canada, a goods and services tax issue, looked at whether a particula...
This article presents a modest, exploratory empirical study of Canada’s general antiavoidance rule (...
Now in its fifth edition, this work provides an overview of the foundations of tax law and the criti...
Now in its fourth edition, this work provides an overview of the foundations of tax law and the crit...
In 2013, the Supreme Court of Canada heard three tax cases. Our review of the year argues that the C...
This paper reviews the history of the Supreme Court\u27s tax jurisprudence focussing on the Court\u2...
Canada Trustco, Mathew, Placer Dome and Imperial Oil are landmark decisions of the Supreme Court of ...
This study examines the problem of form and substance in Canadian tax jurisprudence, which has been ...
This chapter is designed to lay the ground for comparative study into legal interpretation in tax la...
This Article examines the Supreme Court\u27s interpretive approach in recent tax cases. Although the...
This chapter is designed to lay the ground for comparative study into legal interpretation in tax la...
On October 19, 2005, the Supreme Court of Canada released the first decisions in which it considered...
This two-part article discusses the various doctrines to which Canadian courts have referred in inte...
Taxpayers and governments alike struggle to stay on top of the various complex sources of tax law an...
In British Columbia (Attorney General) v. Christie, 2007 SCC 21, [2007] 1 SCR 873, the unanimous ful...
Part 1 of this two-part article reviewed the four main doctrines to which Canadian courts have refer...
This article presents a modest, exploratory empirical study of Canada’s general antiavoidance rule (...
Now in its fifth edition, this work provides an overview of the foundations of tax law and the criti...
Now in its fourth edition, this work provides an overview of the foundations of tax law and the crit...
In 2013, the Supreme Court of Canada heard three tax cases. Our review of the year argues that the C...
This paper reviews the history of the Supreme Court\u27s tax jurisprudence focussing on the Court\u2...
Canada Trustco, Mathew, Placer Dome and Imperial Oil are landmark decisions of the Supreme Court of ...
This study examines the problem of form and substance in Canadian tax jurisprudence, which has been ...
This chapter is designed to lay the ground for comparative study into legal interpretation in tax la...
This Article examines the Supreme Court\u27s interpretive approach in recent tax cases. Although the...
This chapter is designed to lay the ground for comparative study into legal interpretation in tax la...
On October 19, 2005, the Supreme Court of Canada released the first decisions in which it considered...
This two-part article discusses the various doctrines to which Canadian courts have referred in inte...
Taxpayers and governments alike struggle to stay on top of the various complex sources of tax law an...
In British Columbia (Attorney General) v. Christie, 2007 SCC 21, [2007] 1 SCR 873, the unanimous ful...
Part 1 of this two-part article reviewed the four main doctrines to which Canadian courts have refer...
This article presents a modest, exploratory empirical study of Canada’s general antiavoidance rule (...
Now in its fifth edition, this work provides an overview of the foundations of tax law and the criti...
Now in its fourth edition, this work provides an overview of the foundations of tax law and the crit...