outstanding

By services, 28 November, 2015

The Court rejected the submission of the taxpayer that given that s. 158(8) deemed an assessment to be valid and binding until the time of the reassessment interest under s. 161(1) arising because of the reassessment of a taxpayer accrued only from the time of the reassessment rather than from the time the taxpayer filed his return. Sexton J.A. noted (at p.