CRA Audit Defense & Legal Reassessment Appeals
Under Section 165 of the Income Tax Act (ITA), corporations have a strict 90-day statutory window to file a formal Notice of Objection. We halt aggressive CRA legal collections, freeze bank levies, and represent your entity directly before CRA Audit Division officers.
Request Immediate Audit Review
Confidential case analysis by Senior CPA & Legal Tax Advisory team.
Core Audit Defense & Dispute Capabilities
Section 165 Notice of Objection
Formally challenging CRA Proposed Adjustments and Reassessments. We construct jurisprudence-backed legal submissions to dispute arbitrary income additions and denied business expense claims.
Section 225.1 Collections Freeze
Invoking statutory collection restrictions under Section 225.1 of the Income Tax Act. We stop CRA legal action, prevent requirement-to-pay (RTP) bank freezes, and negotiate structured payment agreements.
Net Worth & Indirect Method Audits
Defending against complex CRA bank account reconstructions, net worth methodology, and lifestyle audits. We reconcile unexplained bank deposits to eliminate arbitrary gross income adjustments.