Bogie v. R., [1998] 4 CTC 195, 98 DTC 6679 -- text
Robertson J.A.:
Assuming, without deciding, that the Tax Court of Canada possesses the inherent jurisdiction to set aside a notice of discontinuance or that the requisite jurisdiction arises under s. 172 of the Tax Court of Canada Rules, we are all of the view that this appeal cannot succeed on its merits.