The decision to waive or cancel penalties and interest under the Income Tax Act R.S.C. 1985, c. 1 (5th Supp.) subsection 220(3.1), is discretionary. Thus there is no obligation on the Minister to waive or cancel penalties and interest in particular circumstances: Syal v. M.N.R., 99 D.T.C. 5451 (F.C.T.D.)
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