9310-1731 Québec Inc. v. The King

9310-1731 Québec Inc. v. The King

On the balance of probabilities the Court concluded the fair market value of each of lots 5,524,048 and 5,524,049 was $90,000 based on contemporaneous sales by the appellant of similar lots at $90,000 in 2017–2018 and because the appellant failed to provide sufficient probative evidence to rebut the notarial deeds...

Source-derived case information.

Citation
2023 TCC 150
Parties
Appellant: 9310-1731 Québec Inc.; Respondent: His Majesty the King
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
20 June 2023
Procedural Posture
GST Reassessment Under Excise Tax Act (part Ix) / Judgment on Appeal (tax Court)
Outcome
Appeal allowed in part; reassessment dated May 14, 2021 is referred back to the Minister of National Revenue for reconsideration and reassessment on the basis that the fair market value of each of lots 5,524,048 and 5,524,049 is $90,000; no other change to the reassessment; no costs.
Legal Topics
Fair Market Value, Section 173, Taxable Benefits, Reassessment, Related Party Transactions, Valuation Methods
Source Language
en
Tax Law Indirect Taxation Excise Tax Act Goods and Services Tax Fair Market Value Section 173 Taxable Benefits Reassessment +2 more

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Parties

9310-1731 Québec Inc.

Appellant

His Majesty the King

Respondent

Procedural Posture

GST Reassessment Under Excise Tax Act (part Ix) / Judgment on Appeal (tax Court)

  1. 1 Whether the fair market value of lots sold to related shareholders for purposes of s.173 should be set at the transaction price or at a higher market value
  2. 2 Whether extrinsic evidence and a private agreement can rebut statements in authentic notarial deeds
  3. 3 Appropriate valuation approach and probative value of comparables and older appraisal

Ratio Decidendi

On the balance of probabilities the Court concluded the fair market value of each of lots 5,524,048 and 5,524,049 was $90,000 based on contemporaneous sales by the appellant of similar lots at $90,000 in 2017–2018 and because the appellant failed to provide sufficient probative evidence to rebut the notarial deeds or to justify the lower $35,000 price or the respondent's higher figures; accordingly the appeal is allowed and the reassessment is referred back to the Minister for reassessment using $90,000 per lot.

Court Disposition

Appeal allowed in part; reassessment dated May 14, 2021 is referred back to the Minister of National Revenue for reconsideration and reassessment on the basis that the fair market value of each of lots 5,524,048 and 5,524,049 is $90,000; no other change to the reassessment; no costs.

Orders

  • Appeal allowed; reassessment dated May 14, 2021 is referred back to the Minister of National Revenue for reconsideration and reassessment on the basis that the fair market value of lots 5,524,048 and 5,524,049 is $90,000 each; no other change to the reassessment; no costs.