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Rules of Reassessment: First Order Issued Under the Time Limits and Other Periods Act (COVID-19)

September 28, 2020

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Written By Marc Pelletier and Sophie Virji

The Minister of National Revenue issued an order on August 31, 2020. This is the first order issued under the Time Limits and Other Periods Act (COVID-19) (TLOPA). The August 31 Order extends the time limit to reassess taxpayers and certain filing deadlines under the Income Tax Act (Canada) (ITA) and under the Excise Tax Act (ETA).1

The August 31 Order affects the tax risk exposure and filing obligations of some taxpayers. The manner in which taxpayers are affected may be complex. The most significant impact for many taxpayers will be the extension of the normal reassessment period (subsection 152(3.1) of the ITA). In an interesting twist, taxation years that became statute-barred between March 13, 2020, and May 19, 2020, remain statute-barred; however, years that otherwise would have become statute-barred between May 20, 2020, and December 30, 2020, will now only become statute-barred six months later or on December 31, 2020, whichever date is earlier.

Brief Overview of TLOPA

TLOPA came into force on July 27, 2020, to address the many Canadians, businesses and other organizations, including the Canada Revenue Agency (CRA), which may have been unable to meet time limits set out in federal legislation due to the COVID-19 pandemic.2 TLOPA allows federal ministers to make temporary orders to extend or suspend time limits in specific federal legislation for which they are responsible.

Specifically, TLOPA allows the Minister to issue administrative orders extending certain time limits under the ITA for up to six months wherein extensions or suspensions may have retroactive effect back to March 13, 2020, and cannot continue after December 31, 2020. The August 31 Order was made pursuant to this power. TLOPA includes a sunset clause such that a minister cannot exercise these powers after September 30, 2020.

Extended Reassessment Periods Under the August 31 Order

Where the time limit would expire during the period beginning on May 20, 2020, and ending on December 30, 2020, the August 31 Order extends the following time limits or periods by six months or until December 31, 2020, if that day is before the end of those six months:

Extended Filing Periods Under the August 31 Order

Where the time limit would expire during the period beginning on March 13, 2020, and ending on December 30, 2020, the August 31 Order extends the following time limits or periods by six months or until December 31, 2020, if that day is before the end of those six months:

The Bennett Jones Tax group will continue to monitor developments in this area, and would be pleased to assist you as you look to identify and implement strategies in connection with mitigating tax risk exposure and navigating new filing obligations. In addition, please visit our COVID-19 Resource Centre for other COVID-19-related materials.


1For the time limit and other period extensions ordered under the ETA, visit the Government of Canada website.
2For more information on TLOPA see our blog from August 2020, Limitation Periods for Tax Disputes Might Now Be Extended.
3See for example the exceptions in subsection 152(4) of the ITA.
4For example, a transaction with non-arm's length non-residents (subparagraph 152(4)(b)(iii) of the ITA).
5A reassessment of a liability for a taxation year authorized to be made by paragraph 152(4)(b.1) of the ITA is limited by subparagraph 152(4.01)(b)(vii) of the ITA to the deduction or claim in respect of the tax shelter or the tax benefit in respect of the reportable transaction.

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