Lund v. Canada (Attorney General), 2006 DTC 6367, 2006 FC 640 -- summary under Subsection 220(3.1)

By services, 28 November, 2015

The individual responsibility for a fairness review had done very little independent review of the evidence and had relied heavily on what was told to him by the auditor who had been alleged by the taxpayer to be biased. This error constituted a sufficient to send the matter back for re-determination on the merits.

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