Goldstein v. The Queen

Goldstein v. The Queen

The appellant was not a resident of Canada for 2000–2009 because her settled routine of life was in the United States and her ties to Canada were insufficient and intermittent to establish residency; accordingly the appeals for child tax benefits and GST credit are dismissed and the UCCB appeal is quashed for lack...

Source-derived case information.

Citation
2013 TCC 165
Parties
Appellant: Gita Goldstein; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
21 May 2013
Procedural Posture
Tax Court Appeal / Judgment
Outcome
Appeal dismissed in part and quashed in part; parties to bear their own costs.
Legal Topics
Residence for Tax Purposes, Child Tax Benefit, Goods and Services Tax Credit, Jurisdiction of Tax Court
Source Language
en
Income Tax Act Universal Child Care Benefit Act Tax Law Administrative Law Residence for Tax Purposes Child Tax Benefit Goods and Services Tax Credit Jurisdiction of Tax Court

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Parties

Gita Goldstein

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

Tax Court Appeal / Judgment

  1. 1 Whether the appellant was a resident of Canada for the base taxation years 2000 to 2009
  2. 2 Whether the Tax Court has jurisdiction to hear appeals under the Universal Child Care Benefit Act

Ratio Decidendi

The appellant was not a resident of Canada for 2000–2009 because her settled routine of life was in the United States and her ties to Canada were insufficient and intermittent to establish residency; accordingly the appeals for child tax benefits and GST credit are dismissed and the UCCB appeal is quashed for lack of jurisdiction.

Court Disposition

Appeal dismissed in part and quashed in part; parties to bear their own costs.

Orders

  • The appeal with respect to the Universal Child Care Benefit Act is quashed.
  • The appeal with respect to determinations under the Income Tax Act denying child tax benefit and goods and services tax credit for base taxation years 2000 to 2009 is dismissed.