Jewish National Fund of Canada Inc. v. Canada (National Revenue)

Jewish National Fund of Canada Inc. v. Canada (National Revenue)

Subsection 180(2) of the Income Tax Act ousts the jurisdiction of the Federal Court to entertain proceedings 'in respect of' decisions from which an appeal lies to the Federal Court of Appeal; a judicial review of the Minister's publication of the NITR is a proceeding in respect of the Minister's decision to issue...

Source-derived case information.

Citation
2025 FCA 110
Parties
Appellant: Jewish National Fund of Canada Inc. (Fonds national juif du Canada Inc.); Respondent: Minister of National Revenue
Court
Federal Court of Appeal
Jurisdiction
Canada
Judgment Date
2 June 2025
Procedural Posture
Judicial Review / Appeal Under the Income Tax Act / Federal Court of Appeal Judgment on Jurisdictional Appeal
Outcome
Appeal dismissed with costs
Legal Topics
Jurisdiction, Revocation of Charitable Registration, Publication of Notice of Intention to Revoke (nitr), Statutory Interpretation of Income Tax Act Ss.168, 172, 180, Stay of Publication
Source Language
en
Administrative Law Tax Law Charity Law Judicial Review Jurisdiction Revocation of Charitable Registration Publication of Notice of Intention to Revoke (nitr) Statutory Interpretation of Income Tax Act Ss.168,172,180 +1 more

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Parties

Jewish National Fund of Canada Inc. (Fonds national juif du Canada Inc.)

Appellant

Minister of National Revenue

Respondent

Procedural Posture

Judicial Review / Appeal Under the Income Tax Act / Federal Court of Appeal Judgment on Jurisdictional Appeal

  1. 1 Whether the Federal Court has jurisdiction to judicially review the Minister's decision to publish a notice of intention to revoke (NITR)
  2. 2 Whether subsection 180(2) of the Income Tax Act ousts Federal Court jurisdiction over proceedings "in respect of" decisions appealable to the Federal Court of Appeal
  3. 3 Whether the publication of a NITR is a separate, reviewable decision distinct from the issuance/confirmation of the NITR

Ratio Decidendi

Subsection 180(2) of the Income Tax Act ousts the jurisdiction of the Federal Court to entertain proceedings 'in respect of' decisions from which an appeal lies to the Federal Court of Appeal; a judicial review of the Minister's publication of the NITR is a proceeding in respect of the Minister's decision to issue or confirm the NITR and therefore falls within the exclusive jurisdiction of the Federal Court of Appeal. The appeal is dismissed with costs.

Court Disposition

Appeal dismissed with costs

Orders

  • Appeal dismissed with costs