What is the impact of the Respondent’s claim against the taxpayer for failing to pay the assessed amount?

Alberta, Canada


The following excerpt is from Canada (National Revenue) v. S & D International Group Inc, 2009 ABQB 536 (CanLII):

The evidence led by the Respondent goes far beyond mere suspicion. d. the taxpayer’s ability or lack of ability to pay the assessed amount at the time of this application is not determinative; see Danielson v. Canada [1987] 1 F.C. 335.

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