Giocoechea v. The Queen

Giocoechea v. The Queen

Appellant either remained a director or was deemed a director after the alleged resignation; the s.223 certificate was validly registered and execution returned nulla bona satisfying s.227.1(2)(a); the appellant failed to establish he met the statutory due diligence standard under s.227.1(3); consequently the...

Source-derived case information.

Citation
2010 TCC 539
Parties
Appellant: John Goicoechea; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
26 October 2010
Procedural Posture
Income Tax Reassessment Appeal (tax Court of Canada) / Judgment (reasons Issued)
Outcome
Appeal dismissed; reassessment upheld.
Legal Topics
Director Liability, Due Diligence Defence, Source Deductions, Limitation Period, Resignation of Directors, Registration of Certificate Under S223
Source Language
en
Tax Law Corporate Law Director Liability Due Diligence Defence Source Deductions Limitation Period Resignation of Directors Registration of Certificate Under S223

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Parties

John Goicoechea

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

Income Tax Reassessment Appeal (tax Court of Canada) / Judgment (reasons Issued)

  1. 1 Whether the appellant ceased to be a director for purposes of the two‑year limitation in s.227.1(4)
  2. 2 Whether the prerequisites in s.227.1(2)(a) (registration of a s.223 certificate and execution returned unsatisfied) were satisfied
  3. 3 Whether the appellant exercised the due diligence required by s.227.1(3) to avoid liability

Ratio Decidendi

Appellant either remained a director or was deemed a director after the alleged resignation; the s.223 certificate was validly registered and execution returned nulla bona satisfying s.227.1(2)(a); the appellant failed to establish he met the statutory due diligence standard under s.227.1(3); consequently the two‑year limitation did not bar liability and the reassessment was upheld.

Court Disposition

Appeal dismissed; reassessment upheld.

Orders

  • The appeal is dismissed.
  • The reassessment dated August 30, 2007 in the amount of $22,304.09 is confirmed.