Skip to main content
Home
Tax Interpretations
Canadian tax interpretations and transactional implications
Log in or Register
  • Create new account
  • Request new password

Search

  • Home
  • News of Note
  • CRA Publications
  • Words & Phrases
  • Conferences/Reports/Letters
  • Buy Full Access

You are here

  • Home
  • Tax Topics
  • Other Legislation/Constitution
  • Federal
  • Freedom of Information Act

Freedom of Information Act

Table of Contents

Freedom of Information Act
Section 4
Administrative Policy(1)

Section 4

Administrative Policy

79 C.R. - Q.32

RC would not refuse a corporation access to its own records unless that corporation is under or subject to an investigation.

Navigation

  • Public Transactions
  • General Concepts
  • Statutory Interpretation
  • Income Tax Act
  • Income Tax Regulations
  • Income Tax Application Rules
  • Excise Tax Act
  • Other Legislation/Constitution
    • Charter (Constitution Act, 1982)
    • Constitution Act, 1867
    • Federal
      • Access to Information Act
      • Bankruptcy and Insolvency Act
      • Canada Pension Plan
      • Companies' Creditors Arrangement Act
      • Canada Business Corporations Act
      • Canadian Bill of Rights
      • Canada Evidence Act
      • Canadian Human Rights Act
      • Criminal Code
      • Crown Liability and Proceedings Act
      • Customs Act
      • Customs Tariff Act
      • Department of Justice Act
      • Department of National Revenue Act
      • Employment Insurance Act
      • Excise Act, 2001
      • Financial Administration Act
      • Federal Courts Act
      • Federal Courts Rules
      • Freedom of Information Act
      • Indian Act
      • Income Tax Convention Act
      • Income Tax Conventions Interpretation Act
      • Official Languages Act
      • Privacy Act
      • Special Import Measures Act
      • Supreme Court Act
      • Tax Court of Canada Act
      • Tax Court of Canada Rules (General Procedure)
      • Time Limits and Other Periods Act (COVID-19)
    • Alberta
    • British Columbia
    • Ontario
    • Quebec
  • Treaties

Contact

Powered by Drupal

Disclaimer

None of the content is or should be construed as advice, and readers should obtain any tax (or other) advice from their professional advisors. We disclaim any liability to anyone arising from reliance on any content of this or any other site.