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Alex Klyguine

Alex Klyguine
  • 2151767
  • 2151768
  • 2151769

Alex Klyguine

Website :
Phone No :
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Address :
1655 Dupont Street Suite 101 Toronto
Postal Code :
M6P 3T1
218

Co-Managing Lawyer / Founder
 

Drawing on nearly a decade of Bay Street experience, Alex has cultivated a robust practice in tax dispute resolution. After being called to the Ontario Bar in 2014, he has represented clients in some of the most challenging and nuanced tax controversies. Alex has successfully guided a diverse clientele – including individuals, private business owners, and large corporations – through the tax dispute process.

Alex’s goal is always to achieve timely, efficient resolutions for his clients. Through sound strategy and proactive negotiation, he often prevents the need for costly litigation. His commitment to simplifying complex tax laws resonates with clients, who appreciate his clarity, thoroughness, and practical solutions.

As a dedicated practitioner, Alex works closely with accountants, business advisers, and other counsel to vigorously protect his clients’ interests. This collaborative approach ensures that every aspect of a client’s case is handled with expert attention and that their rights are fully represented.

When he’s not assisting clients, Alex enjoys spending time with his wife and two children or delving into a good book.
 

Education

  • CPA Canada, In-Depth Tax Course (Levels I–III)
    2017
  • Schulich School of Business, MBA

    2013

  • Osgoode Hall Law School, JD

    2013

  • York University, BCom

    2010

Work Experience

  • Worked at Osler, Hoskin & Harcourt LLP
     
  • Worked at Borden Ladner Gervais LLP
     

Awards And Recognition

  • 2025 Best Lawyers: Ones To Watch in Canada recognition for Tax Law.
  • 2024 Best Lawyers: Ones To Watch in Canada recognition for Tax Law.
  • 2023 Best Lawyers: Ones To Watch in Canada recognition for Tax Law.
  • 2022 Best Lawyers: Ones To Watch in Canada recognition for Tax Law.

Publications / Events / Media

  • Quoted, “Human traffickers racked up $60k in debt under her name; the CRA is compounding her trauma”, The Pointer, September 2025
  • Quoted, “CRA has ‘eroded trust,’ Senator says, as minister tasks agency with creating 100-day improvement plan”, The Hill Times, September 2025
  • Quoted, “CRA complaints on the rise as deep job cuts forecast”, The Hill Times, August 2025
  • Speaker, “Tax Update,” The Estate Planning Council of Toronto, May 2022.
  • Speaker, “Update on Income Splitting: What’s Allowed and What’s Not Allowed”, Law Society of Ontario, September 2021.
  • Co-Author (with P. Marley), “2021 Canadian Federal Budget: Government Provides First Pandemic Era Budgetary Update”, Tax Management International Journal, May 7, 2021.
  • Speaker, “Taxation of Real Estate”, CPAC, February 2019.
  • Speaker, “Income Splitting Post-Budget 2018”, Law Society of Ontario, September 2018.
  • Co-Author, “Confidentiality at Risk: Accessing Financial Filings on EDGAR”, Canadian Tax Focus, Volume 8, Number 3, August 2018.
  • Moderator, “US Tax Changes”, Toronto Young Practitioner Tax Conference, June 2018.
  • Co-Author, “Overview of the Canadian Federal Budget 2018”, Journal of International Taxation, April 2018.
  • Author, “Income Splitting After the New Private Corporation Proposals: Salaries Paid to Family Members”, Canadian Tax Focus, Volume 8, Number 1, February 2018.
  • Moderator, “Taxation of Cryptocurrencies”, CTF YP, December 2017.
  • Guest Lecturer, “Taxation of Damages in Canada”, Osgoode Hall Law School, November 2017.
  • Co-Author, “Canada’s CbC rules: adoption of the OECD rules with a twist”, Taxand, September 2017.
  • Speaker, “Rectification post Fairmont and Jean Coutu: A Practical Approach”, CTF YP, February 2017.
  • Co-Author, “The End of Advisory Common Interest Privilege”, Canadian Tax Focus, Volume 7, Number 1, January 2017.
  • Speaker, “International Tax Updates: A Global Perspective”, CTF YP, December 2016.
  • Quoted, “CRA launches new strategy to crack down on tax havens”, Globe & Mail, November 2016.
  • Co-Author, “No Need for Section 116 Clearance Certificate for Capital Distributions from an Estate to a U.S. Beneficiary”, Ontario Bar Association, October 2016.
  • Quoted, “Canadians in Panama Papers shouldn’t expect a tax deal, CRA says”, CBC News, September 2016.
  • Quoted, “CRA plans ‘lifestyle audits’ in Vancouver as part of real estate probe”, Globe & Mail, July 2016.
  • Co-Author, “Interest Deductibility: FCA Sidesteps Novel TCC Reasoning in TDL”, Canadian Tax Focus, Volume 6, Number 2, May 2016.
  • Author, “Interest Deductibility Denied on Intra-Group Loan for Novel Reasons”, Canadian Tax Focus, Volume 5, Number 2, May 2015.
  • Author, “CRA Reassessments: The Trap in Eliminating the Extra Tax by a Loss Carryback”, Canadian Tax Focus, Volume 4, Number 4, November, 2014.

 

 

 

In a typical audit, the CRA sends a questionnaire to the taxpayer seeking further information and clarification. Generally, the taxpayer will then – unless already working with a tax lawyer – complete and return that questionnaire to the CRA, and provide supporting documents for their case.

A CRA reassessment is not the final word. As a taxpayer, you have the right to object to a reassessment by filing a Notice of Objection with the CRA’s Appeals division. This is an opportunity to resolve your tax dispute in a timely, cost-effective manner and set your case up for success at the Tax Court of Canada. How you structure your objection is crucial.

The Tax Court is where taxpayers usually have some of the largest reductions in tax payable, yet the structure of your case at the outset can determine your success at Tax Court. Ultimately, the goal is to resolve your matter without needing to go to trial.

The CRA has a voluntary disclosure program, which allows you to fix mistakes before CRA conducts any audits or reassessments.