Hobson v. The Queen

Hobson v. The Queen

Applying the balance of probabilities the Court found JM's sworn declaration and the surrounding circumstances sufficient to establish that $3,800 of the amounts treated as unreported business income was a loan, but found the $2,700 declaration ambiguous and resolved that ambiguity against the taxpayer; accordingly...

Source-derived case information.

Citation
2011 TCC 29
Parties
Appellant: Pierre Hobson; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
20 January 2011
Procedural Posture
Tax Appeal (reassessment Under Income Tax Act) / Judgment (reasons for Judgment)
Outcome
Appeal allowed in part; reassessment referred back to the Minister for reconsideration and reassessment such that unreported business income for 2007 is not more than $2,754.
Legal Topics
Unreported Business Income, Reassessment, Burden of Proof, Loans Versus Income, Sworn Declarations, Adequacy of Records
Source Language
en
Tax Law Income Tax Act Evidence Law Unreported Business Income Reassessment Burden of Proof Loans Versus Income Sworn Declarations +1 more

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Parties

Pierre Hobson

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

Tax Appeal (reassessment Under Income Tax Act) / Judgment (reasons for Judgment)

  1. 1 Whether $6,554 added as unreported business income should be reduced
  2. 2 Whether $2,700 was a household expense payment separate from the $3,600 rent accepted at audit
  3. 3 Whether $3,800 constituted a loan from JM rather than business income

Ratio Decidendi

Applying the balance of probabilities the Court found JM's sworn declaration and the surrounding circumstances sufficient to establish that $3,800 of the amounts treated as unreported business income was a loan, but found the $2,700 declaration ambiguous and resolved that ambiguity against the taxpayer; accordingly the reassessment was reduced and referred back for reconsideration so that unreported business income in 2007 is not more than $2,754.

Court Disposition

Appeal allowed in part; reassessment referred back to the Minister for reconsideration and reassessment such that unreported business income for 2007 is not more than $2,754.

Orders

  • Appeal allowed and referred back to the Minister for reconsideration and reassessment on the basis that the Appellant's unreported business income in 2007 was not more than $2,754.