Potash Corporation of Saskatchewan Inc. v. The Queen

Potash Corporation of Saskatchewan Inc. v. The Queen

The Base Payments are mineral production taxes that arise upon sale or other disposition of potash and require computation of producer profits under the PPTS/PPTR before the Base Payment can be determined; because the Base Payments arise after realization and are inextricably linked to resource production they are...

Source-derived case information.

Citation
2022 TCC 75
Parties
Appellant: Potash Corporation of Saskatchewan Inc.; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
7 July 2022
Procedural Posture
Tax Court Appeal (income Tax) / Final Judgment (reasons for Judgment)
Outcome
Appeal dismissed with costs to the Respondent
Legal Topics
Deductibility of Provincial Taxes, Income Tax Act Paragraph 18(1)(m), Paragraph 18(1)(a) and Subsection 9(1) Deductibility, Mineral Production Tax Vs Profit Tax, Base Payment Calculation Under Potash Production Tax Schedule, Resource Allowance Interaction
Source Language
en
Tax Law Administrative Law Constitutional Law Mineral/resource Law Deductibility of Provincial Taxes Income Tax Act Paragraph 18(1)(m) Paragraph 18(1)(a) and Subsection 9(1) Deductibility Mineral Production Tax Vs Profit Tax +2 more

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Parties

Potash Corporation of Saskatchewan Inc.

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

Tax Court Appeal (income Tax) / Final Judgment (reasons for Judgment)

  1. 1 Whether Base Payments under the Saskatchewan Mineral Taxation Act (Potash Production Tax Schedule) are deductible under subsection 9(1) of the Income Tax Act
  2. 2 Whether paragraph 18(1)(a) of the Income Tax Act precludes deduction because the Base Payments are not incurred for the purpose of gaining or producing income
  3. 3 Whether paragraph 18(1)(m) of the Income Tax Act precludes deduction because the Base Payments are royalties, taxes or amounts in relation to production of minerals

Ratio Decidendi

The Base Payments are mineral production taxes that arise upon sale or other disposition of potash and require computation of producer profits under the PPTS/PPTR before the Base Payment can be determined; because the Base Payments arise after realization and are inextricably linked to resource production they are not incurred for the purpose of gaining or producing income and are non-deductible under subsection 9(1) read with paragraph 18(1)(a), and they fall within the prohibition of paragraph 18(1)(m) as amounts payable to the Crown in relation to production of minerals, therefore the appeal is dismissed.

Court Disposition

Appeal dismissed with costs to the Respondent

Orders

  • Appeal dismissed with costs to the Respondent
  • Respondent to submit written submissions on costs within 30 days from date of judgment