BMO Nesbitt Burns Inc. v. Canada (National Revenue)

BMO Nesbitt Burns Inc. v. Canada (National Revenue)

The Federal Court of Appeal upheld the Federal Court's order because NBI failed to establish on the evidentiary record that production of the unredacted spreadsheet would reveal privileged legal advice, the audit was ongoing at the time of the Minister's request so s.231.7(1) applied, and ordering production did not...

Source-derived case information.

Citation
2023 FCA 43
Parties
Appellant: BMO Nesbitt Burns Inc.; Respondent: Minister of National Revenue
Court
Federal Court of Appeal
Jurisdiction
Canada
Judgment Date
28 February 2023
Procedural Posture
Appeal From Federal Court Decision Under Income Tax Act S.231.7(1) / Hearing on Appeal and Disposition Delivered by Federal Court of Appeal
Outcome
Appeal dismissed with costs; Federal Court order upheld
Legal Topics
Income Tax Act S.231.7(1), Document Production, Legal Professional Privilege, Tax Audit Scope, Reassessment
Source Language
en
Tax Law Administrative Law Civil Procedure Evidence and Privilege Income Tax Act S.231.7(1) Document Production Legal Professional Privilege Tax Audit Scope +1 more

Source-derived case record

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Parties

BMO Nesbitt Burns Inc.

Appellant

Minister of National Revenue

Respondent

Procedural Posture

Appeal From Federal Court Decision Under Income Tax Act S.231.7(1) / Hearing on Appeal and Disposition Delivered by Federal Court of Appeal

  1. 1 Whether subsection 231.7(1) of the Income Tax Act permits the Minister to obtain an unredacted spreadsheet from the taxpayer
  2. 2 Whether disclosure of the unredacted spreadsheet would reveal privileged legal advice and therefore be protected from production
  3. 3 Whether an order under s.231.7(1) requires an ongoing audit at the time of the order or is defeated by issuance of a reassessment

Ratio Decidendi

The Federal Court of Appeal upheld the Federal Court's order because NBI failed to establish on the evidentiary record that production of the unredacted spreadsheet would reveal privileged legal advice, the audit was ongoing at the time of the Minister's request so s.231.7(1) applied, and ordering production did not improperly compel a self-audit; there was no reversible error in the Federal Court's factual or legal conclusions.

Court Disposition

Appeal dismissed with costs; Federal Court order upheld

Orders

  • Appeal dismissed with costs to the Minister
  • Order pursuant to subsection 231.7(1) of the Income Tax Act requiring BMO Nesbitt Burns Inc. to provide the unredacted Master Summary Pricing Model (Spreadsheet) is upheld