



If you disagree with the CRA s decision after an audit or objection, you can appeal to the Tax Court of Canada. You have 90 days from the CRA's reassessment to file a Notice of Appeal, but if you miss this window, you can apply for an extension within one year. There are two procedures: Informal (for disputes up to certain amounts) and General (for larger disputes). The Federal Court of Appeal can be pursued if the Tax Court's decision is unfavorable.

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Rosen and Associates, a Toronto-based tax law firm, offers proactive, client-focused legal tax advice and representation. With a specialized focus on complex tax law, RKTL delivers quality service and effective defense for hardworking Canadians facing disputes with the Canada Revenue Agency.

www.rosentaxlaw.com


