Can, and Should, the Parol Evidence Rule Be Invoked by or against the Canadian Tax Authorities in Tax Litigation? Lessons from US Jurisprudence
Journal
Country
Canada; United States
Published Date
Issue
Bulletin for International Taxation 2013 (Volume 67), No. 9
Document
The purpose of this article is to distil lessons from US jurisprudence as to whether the parol evidence rule can be used in tax disputes. By applying these lessons to Canadian law, the article also exemplifies how these lessons can be transplanted elsewhere as a source of influence and guidance.