Bennett JonesSpeaking Engagement 58th Annual Canadian Tax Conference of the Tax Executive InstituteMay 8, 2026 Authors Edwin G. Kroft KCPartner Edwin G. (Ed) Kroft KC spoke at the Tax Executives Institute Inc. (TEI) 58th Annual Canadian Tax Conference, held May 3–6 in Ottawa. His session examined the Canada Revenue Agency’s use of subsection 152(9) of the Income Tax Act to advance new arguments in support of reassessments, sometimes long after a tax audit has ended. Ed discussed the practical and evidentiary challenges that the use of subsection 152(9) of the Income Tax Act can create for taxpayers. He also explained some of the legal limits on the CRA’s ability to rely on subsection 152(9), including circumstances where doing so may be constrained even after limitation periods have expired. Republishing Requests For permission to republish this or any other publication, contact Bryan Canning at canningb@bennettjones.com. For informational purposes only This publication provides an overview of legal trends and updates for informational purposes only. For personalized legal advice, please contact the authors. AuthorsEdwin G. Kroft KC, Partner • Chair, Tax Litigation and Dispute Resolution Practice Vancouver, Toronto • 604.891.5335 • krofte@bennettjones.com |
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