The Federal Court of Appeal Sends Another Decision Back to the Tax Court of Canada in Heron Bay v. The Queen (2010)
August 20th, 2010
In recent weeks, the Federal Court of Appeal has sent two cases back to the Tax Court of Canada for rehearing. In GlaxoSmithKline Inc. v. The Queen, 2010 FCA 201 (discussed here), the Court of Appeal found that Rip C.J. erred by misunderstanding the application s. 69(2) of the Federal Income Tax Act, R.S.C. 1985, [...]



