Gestions Cholette Inc. v. The Queen

Gestions Cholette Inc. v. The Queen

The Minister proved on the balance of probabilities that the misrepresentation (omission of $920,700 dividends) was attributable to neglect/carelessness by the external accountant who was authorized to file the return and that the appellant failed to exercise due diligence by not adequately reviewing the filed...

Source-derived case information.

Citation
2020 TCC 75
Parties
Appellant: Gestions Cholette Inc.; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
12 August 2020
Procedural Posture
Income Tax Reassessment Appeal / Judgment of the Tax Court of Canada (reasons for Judgment)
Outcome
Appeal dismissed; reassessment dated October 25, 2017 upheld; costs awarded to respondent
Legal Topics
Reassessment Period, Misrepresentation Due to Neglect or Carelessness, Attribution of Agent's Negligence to Taxpayer, Dividend Income Reporting, Subsection 152(4) of the Income Tax Act
Source Language
en
Tax Law Income Tax Administrative Law Reassessment Period Misrepresentation Due to Neglect or Carelessness Attribution of Agent's Negligence to Taxpayer Dividend Income Reporting Subsection 152(4) of the Income Tax Act

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Parties

Gestions Cholette Inc.

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

Income Tax Reassessment Appeal / Judgment of the Tax Court of Canada (reasons for Judgment)

  1. 1 Whether the Minister validly reassessed outside the normal reassessment period under s.152(4)(a)(i) of the Income Tax Act
  2. 2 Whether the taxpayer is liable for negligent errors of its external accountant and authorized filers
  3. 3 Whether the taxpayer exercised due diligence in reviewing and certifying its tax return

Ratio Decidendi

The Minister proved on the balance of probabilities that the misrepresentation (omission of $920,700 dividends) was attributable to neglect/carelessness by the external accountant who was authorized to file the return and that the appellant failed to exercise due diligence by not adequately reviewing the filed return; therefore s.152(4)(a)(i) applies and the reassessment outside the normal period was valid.

Court Disposition

Appeal dismissed; reassessment dated October 25, 2017 upheld; costs awarded to respondent

Orders

  • Appeal dismissed with costs to the respondent
  • Reassessment dated October 25, 2017 in respect of the 2010 taxation year is upheld