Once a Notice of Assessment or Reassessment has been issued by the Canada Revenue Agency, a statutory deadline to object (typically 90 days) commences, failing which further rights to dispute the matter often are lost or become significantly more difficult to access.

Felesky Flynn LLP approaches tax objections as an invaluable opportunity to favourably resolve tax disputes without going to Court. The firm strongly believes that, where possible, tax disputes should be favourably resolved as early in the tax dispute process as possible. In our view, this approach maximizes the prospect for a favourable outcome for our clients.