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Catherine M. Robinson v. Attorney General of Canada et al

- Parties: The applicant was Catherine M. Robinson. The respondents were the Attorney General of Canada and the Minister of National Revenue.

- Subject Matter: The judicial review application challenged the Canada Revenue Agency's decision. The applicant sought a waiver of tax payable under s. 207.06(1) due to the holder's reasonable error on one specific tax-free savings account transfer transaction.

- Date: The application for judicial review filed in February 2020 was officially discontinued by the Applicant on March 27, 2024. The discontinuance appears final unless refiled or otherwise contested.

- Venue: This was a federal case before the Federal Court.

- Amount: No financial award was specified.

Catherine M. Robinson
Law Firm / Organization
Unrepresented
Attorney General of Canada, the Minister of National Revenue
Law Firm / Organization
Department of Justice Canada
Lawyer(s)

Tigra Bailey

Federal Court
T-228-20
Taxation
Not specified/Unspecified
14 February 2020