Canada v. Livingston

Canada v. Livingston

Deposit of funds into another person's bank account constitutes a transfer of property under subsection 160(1); the respondent did not provide fair market value consideration for the transfers (mere provision of a debit card, signed cheques or moral forbearance did not constitute equivalent consideration); Tax Court...

Source-derived case information.

Citation
2008 FCA 89
Parties
Appellant: Her Majesty the Queen; Respondent: Jean Livingston
Court
Federal Court of Appeal
Jurisdiction
Canada
Judgment Date
7 March 2008
Procedural Posture
Tax Appeal / Appeal to Federal Court of Appeal From Tax Court Judgment
Outcome
Appeal allowed; decision of Tax Court set aside; respondent's appeal to Tax Court dismissed
Legal Topics
Subsection 160(1) Income Tax Act, Transfer of Property, Consideration, Fraudulent Conveyance, Collection of Tax Debts
Source Language
en
Tax Law Statutory Interpretation Trusts and Property Banking Law Bankruptcy Subsection 160(1) Income Tax Act Transfer of Property Consideration +2 more

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Parties

Her Majesty the Queen

Appellant

Jean Livingston

Respondent

Procedural Posture

Tax Appeal / Appeal to Federal Court of Appeal From Tax Court Judgment

  1. 1 What is the test for application of subsection 160(1) of the Income Tax Act?
  2. 2 Whether deposits into the respondent's bank account constituted a transfer of property
  3. 3 Whether adequate fair market value consideration flowed from the transferee to the transferor

Ratio Decidendi

Deposit of funds into another person's bank account constitutes a transfer of property under subsection 160(1); the respondent did not provide fair market value consideration for the transfers (mere provision of a debit card, signed cheques or moral forbearance did not constitute equivalent consideration); Tax Court erred in finding adequate consideration and s.160(1) therefore applied, making the transferee jointly and severally liable; appeal allowed and Tax Court decision set aside.

Court Disposition

Appeal allowed; decision of Tax Court set aside; respondent's appeal to Tax Court dismissed

Orders

  • Allow appeal with costs to the appellant
  • Set aside the decision of the Tax Court Justice Beaubier dated May 23, 2007 (amended June 15, 2007)