Section 244

Subsection 244(4) - Limitation period

Cases

PS&E Contractors Ltd. v. The Queen, 89 DTC 5067 (Sask. C.A.)

"The knowledge must be the knowledge of the Minister personally and the knowledge of someone else cannot be substituted for it."

The Queen v. Print Three, 88 DTC 6315 (Ont. Prov. Ct.)

Marcotte was followed.

R. v. Les Habitations Perigord Inc., 88 DTC 6267, [1988] 2 CTC 64, 88 DTC 6267 (Que. C.A.)

A certificate was held to be defective because it only certified that the requisite evidence came to the knowledge of an authorized official,...

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Re Pica and The Queen, 85 DTC 5041, [1985] 1 CTC 73 (S.C.O.)

"Minister" in s. 244(4) includes his designee.

James v. The Queen, 84 DTC 6570, [1984] CTC 672 (S.C.O.), rev'd by 86 DTC 6432, [1986] 2 CTC 288 (Ont CA), briefly aff'd by 88 DTC 6273, [1988] 2 CTC 1, [1988] 1 S.C.R. 669

S.244(4) "leaves it entirely in the hands of the Minister to state when in his 'opinion' sufficient information was brought to his knowledge to...

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R. v. Simmons, 84 DTC 6171 (Nfld. Prov. Ct.)

A Minister's certificate was not invalid by reason of the fact that it was signed by the District Office Director of Taxation who certified as to...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 248 - Subsection 248(2) 58

Fee et al. v. Bradshaw et al., 82 DTC 6264, [1982] CTC 201, [1982] 1 S.C.R. 607

S.18 of the Federal Court Act does not give the Federal Court the jurisdiction to prohibit the filing of an allegedly false certificate, because...

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Usarco Ltd. v. A.G. Canada, 80 DTC 6308, [1980] CTC 484, 80 DTC 6381 (FCTD)

A certificate is not conclusive evidence of the assertions contained therein if it was made fraudulently. (Obiter)

Medicine Hat Greenhouse Ltd. and German v. R., 79 DTC 5091, [1980] CTC 114 (Alta. C.A.)

Assuming the absence of fraudulent intent or improper motive involved in specifying the date contained in the certificate, the certificate is...

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Subsection 244(5) - Proof of service by mail

See Also

Hamer v. The Queen, 2014 DTC 1168 [at 3602], 2014 TCC 218

Woods J found that CRA's affidavit was insufficient to prove that the taxpayer's notice of assessment had been mailed. She stated (at paras....

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Skalbania v. The Queen, 2009 DTC 2066, 2009 TCC 576

The Minister was found to have reassessed the taxpayer within the normal reassessment period when on the last day of that period CRA mailed the...

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Subsection 244(7) - Proof of failure to comply

Cases

Cholodniuk v. R., 92 DTC 6168 (Sask. C.A.)

Because a common law trial judge has not only the right but also the duty to control the evidence so as to ensure a fair trial, a judge has the...

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A.G. (Canada) v. Romeo's Trucking Ltd., 80 DTC 6238, [1980] CTC 278, 80 DTC 6238 (Sask. D.C.)

The S.244(7) presumption was rebutted by testimony of the taxpayer's accountant that he had mailed the taxpayer's return on a timely basis.

Subsection 244(9) - Proof of documents

Cases

Aztec Industries Inc. v. The Queen, 95 DTC 5235 (FCA)

Given that the only documentary evidence the Minister was able to provide by way of affidavit were three "final requests for payment" reciting...

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Subsection 244(10) - Proof of no appeal

See Also

Sicoli v. The Queen, 2013 DTC 1167 [at 917], 2013 TCC 207

Hershfield J found that the Minister was unable to rely on s. 244(10) in respect of 17 assessments that had purportedly all been mailed in 2009,...

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Poulin v. The Queen, 2013 DTC 1102 [at 545], 2013 TCC 104

Hershfield J found that the Minister's affidavit was inadequate to establish under s. 244(10) that the taxpayer's Notice of Objection had been...

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Locations of other summaries Wordcount
Tax Topics - General Concepts - Onus 163

Carcone v. The Queen, 2012 DTC 1032 [at 2651], 2011 TCC 550

The taxpayer's application to extend the period to file notices of objection was denied because the period had not yet commenced. The Minister...

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Graham v. The Queen, 92 DTC 1012 (TCC)

After paraphrasing s. 244(10), Bowman J. stated (p. 1014):

"Such evidence is obviously not irrebuttable and in any event the evidence of a...

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Subsection 244(13) - Proof of documents

Cases

The Queen v. Ehli, 99 DTC 6505 (Alta CA)

A demand made pursuant to s. 231.2(1)(a) that contained a signature stamp affixed by an employee of the CCRA who had been authorized by the...

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Swyryda v. The Queen, 81 DTC 5109 (Sask QB)

The signing of a demand for information by an official other than the Director-Taxation (the Director-Taxation being the officer authorized by...

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Israel v. The Queen, 79 DTC 5418, [1979] CTC 468 (FCTD)

A document described as a "notice of assessment" on which the printed name "E.B. ARMSTRONG" appeared over the title of "DEPUTY MINISTER OF...

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Subsection 244(14) - Mailing or sending date

See Also

236130 British Columbia Ltd. v. The Queen, 2006 DTC 2053, 2005 TCC 770

In finding that a notice of reassessment that the Minister mailed to the wrong address within the six-month period referred to in s. 152(4.1)...

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VIH Logging Ltd v. The Queen, 2004 DTC 2090, 2003 TCC 732

After finding that an assessment of the taxpayer had been made when the assessment was picked up by a courier for delivery, Woods J. went on to...

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McIntyre v. MNR, 93 DTC 999 (TCC)

Notices of reassessment that were sent by registered mail by the Minister were returned by the post office, with the envelopes marked "unclaimed"....

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 152 - Subsection 152(2) 114

Everett's Truck Stop Ltd. v. The Queen, 93 DTC 965 (TCC)

The assumption by another corporation ("Polar Oils") of the obligation of the taxpayer to pay $119,658 in consideration for the taxpayer's...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 12 - Subsection 12(1) - Paragraph 12(1)(x) inducemnt to purchase product for more 92

Subsection 244(15) - Date when assessment made

Cases

Skalbania v. The Queen, 2009 DTC 2066, 2009 TCC 576

The Minister was found to have reassessed the taxpayer within the normal reassessment period when on the last day of that period CRA mailed the...

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McGowan v. The Queen, 95 D.T.C 5337 (FCA)

The taxpayer had failed to rebut the presumption of due issuance created by s. 244(15) by any evidence to the contrary.

Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 166.2 - Subsection 166.2(1) 40

Subsection 244(16)

See Also

Aubrey Dan Family Trust v. Minister of Finance, 2016 ONSC 3801

A purported Alberta trust which wanted to have more time to make submissions to CRA that it was not resident in Ontario provided a related waiver...

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Locations of other summaries Wordcount
Tax Topics - Other Legislation - Ontario - Taxation Act 2007 - Section 158 federal form with CRA insignia purported to be a prescribed form 328
Tax Topics - Income Tax Act - Section 152 - Subsection 152(4) original assessment not dealing with Ontario tax starts the normal Ontario reassessment period 230

Subsection 244(20)

See Also

Menzies v. The Queen, 2016 TCC 73 (Informal Procedure)

The taxpayer was a limited partner in Grosvenor, a limited partnership. Following a Notice of Determination by the Minister to reduce the net...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 152 - Subsection 152(1.6) receipt of notice of redetermination of loss by limited partner not relevant 150