Canada v. General Electric Capital Canada Inc.

Canada v. General Electric Capital Canada Inc.

The Court upheld the Tax Court Judge's factual findings preferring the respondent's expert: implicit parental support is a relevant factor under the transfer pricing provisions, the 1% guarantee fee fell within the arm's length range (fee was at or below market benefit as calculated by the yield approach), and there...

Source-derived case information.

Citation
2010 FCA 344
Parties
Appellant: Her Majesty the Queen; Respondent: General Electric Capital Canada Inc.
Court
Federal Court of Appeal
Jurisdiction
Canada
Judgment Date
15 December 2010
Procedural Posture
Tax Appeal (income Tax Act Transfer Pricing) / Federal Court of Appeal Decision on Appeal From Tax Court of Canada
Outcome
Appeal dismissed with costs
Legal Topics
Subsection 69(2), Paragraphs 247(2)(a) and (c), Arm's Length Principle, Part I Deductions, Part XIII Withholding Tax, Reasonable Apprehension of Bias
Source Language
en
Tax Law Transfer Pricing Administrative Law Procedural Fairness Subsection 69(2) Paragraphs 247(2)(a) and (c) Arm's Length Principle Part I Deductions +2 more

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Legal principles 3 Authorities cited 5 Party arguments 2 Amounts and remedies 3
Sign in to unlock

Parties

Her Majesty the Queen

Appellant

General Electric Capital Canada Inc.

Respondent

Procedural Posture

Tax Appeal (income Tax Act Transfer Pricing) / Federal Court of Appeal Decision on Appeal From Tax Court of Canada

  1. 1 Whether guarantee fees paid to a non-resident parent exceeded an arm's length price under subsection 69(2)/paragraphs 247(2)(a) and (c)
  2. 2 Whether implicit parental support is a relevant factor in determining an arm's length price
  3. 3 Whether the Tax Court Judge committed legal or palpable and overriding errors in fact finding

Ratio Decidendi

The Court upheld the Tax Court Judge's factual findings preferring the respondent's expert: implicit parental support is a relevant factor under the transfer pricing provisions, the 1% guarantee fee fell within the arm's length range (fee was at or below market benefit as calculated by the yield approach), and there was no reversible legal error or reasonable apprehension of bias; appeal dismissed.

Court Disposition

Appeal dismissed with costs

Orders

  • Appeal dismissed with costs