McCartie v. The King

McCartie v. The King

The Tax Court has jurisdiction to impose section 24 Charter remedies in respect of Charter breaches determined by another court; applying a Grant analysis the appropriate remedy in this Tax Court proceeding is to exclude and preclude respondent from introducing or relying on any evidence first collected from the...

Source-derived case information.

Citation
2024 TCC 114
Parties
Appellant: Colin McCartie; Respondent: His Majesty the King
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
29 August 2024
Procedural Posture
Tax Appeal (income Tax Act and Gst/hst) / Voir Dire on Section 24 Charter Remedy and Amended Order
Outcome
Voir dire resolved; amended order issued prohibiting Crown use of specified evidence and awarding costs to appellant
Legal Topics
Search and Seizure, Charter Remedies (s.24), Exclusion of Evidence, Informer Privilege, Statute Barred Reassessment, Gross Negligence Penalty, Disclosure Obligations, Derivative Use Immunity
Source Language
en
Tax Law Constitutional Law Criminal Law Administrative Law Evidence Law Search and Seizure Charter Remedies (s.24) Exclusion of Evidence +5 more

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Parties

Colin McCartie

Appellant

His Majesty the King

Respondent

Procedural Posture

Tax Appeal (income Tax Act and Gst/hst) / Voir Dire on Section 24 Charter Remedy and Amended Order

  1. 1 Whether Tax Court can impose s.24 Charter remedies for breaches determined in separate criminal proceedings
  2. 2 Whether evidence first obtained from the search and seizure of the McCarties' home may be used to establish the amount of tax owing
  3. 3 Whether evidence first obtained from the search and seizure can justify reassessing statute-barred years

Ratio Decidendi

The Tax Court has jurisdiction to impose section 24 Charter remedies in respect of Charter breaches determined by another court; applying a Grant analysis the appropriate remedy in this Tax Court proceeding is to exclude and preclude respondent from introducing or relying on any evidence first collected from the search and seizure of the McCarties’ home, and to exclude evidence collected from the second audit (and evidence subsequently obtained as a result of those breaches) for the purposes of establishing tax quantum, reopening statute-barred years, and supporting penalties, with limited permitted use of voir dire transcript only for specified substantive witness evidence; respondent’s...

Court Disposition

Voir dire resolved; amended order issued prohibiting Crown use of specified evidence and awarding costs to appellant

Orders

  • Respondent cannot introduce or rely on any evidence first collected from the search and seizure at the McCarties' home to establish the amount of tax owing (income tax, GST/HST) or to impeach credibility or imply adverse inferences; this prohibition extends to evidence subsequently obtained as a result of evidence...
  • Respondent cannot introduce or rely on any evidence first collected from the search and seizure at the McCarties' home to justify reassessing after the normal assessment period had expired; same prohibitions apply