Canada (National Revenue) v. Kitsch

Canada (National Revenue) v. Kitsch

s.231.2(1)(a) authorizes the Minister to require information which can be elicited by questions (not limited to production of pre-existing documents under (b)); the Requirements were issued for a purpose related to administration and enforcement and were within s.231.2(1); Dunwoody failed to establish a factual...

Source-derived case information.

Citation
2003 FCA 307
Parties
Appellant: Minister of National Revenue; Respondent: Bruce Kitsch; Respondent: Leslie Tower; Respondent: Robert Tower; Respondent: BDO Dunwoody LLP
Court
Federal Court of Appeal
Jurisdiction
Canada
Judgment Date
22 July 2003
Procedural Posture
Judicial Review and Appeal Under the Income Tax Act / Federal Court of Appeal Decision on Appeal and Cross Appeal From Federal Court, Trial Division Order Dated September 3, 2002
Legal Topics
S.231.2 Income Tax Act Production and Information Requirements, Accountant Client Communications and Privilege, Redaction of Third Party Information, Relevance and Reasonableness of Information Requests, Wigmore Test for Case by Case Privilege
Source Language
en
Tax Law Administrative Law Evidence Law Privilege Law S.231.2 Income Tax Act Production and Information Requirements Accountant Client Communications and Privilege Redaction of Third Party Information Relevance and Reasonableness of Information Requests +1 more

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Parties

Minister of National Revenue

Appellant

Bruce Kitsch

Respondent

Leslie Tower

Respondent

Robert Tower

Respondent

BDO Dunwoody LLP

Respondent

Procedural Posture

Judicial Review and Appeal Under the Income Tax Act / Federal Court of Appeal Decision on Appeal and Cross Appeal From Federal Court, Trial Division Order Dated September 3, 2002

  1. 1 Whether s.231.2(1) permits compelled answers to written questions and creation of new documents
  2. 2 Whether recipients may redact confidential third-party information from documents produced under s.231.2(1)
  3. 3 Whether the Requirements were issued for a purpose related to the administration and enforcement of the Income Tax Act

Ratio Decidendi

s.231.2(1)(a) authorizes the Minister to require information which can be elicited by questions (not limited to production of pre-existing documents under (b)); the Requirements were issued for a purpose related to administration and enforcement and were within s.231.2(1); Dunwoody failed to establish a factual basis for redaction rights; communications and tax memoranda prepared by accountants are not privileged as a class and do not meet Wigmore factors for case-by-case privilege on these facts, so disclosure is required.