President's Choice Bank v. The Queen

President's Choice Bank v. The Queen

The Court held that PC Bank’s redemption payments were made in the course of its PC MasterCard business—an exempt financial service—so those payments were not made 'in the course of a commercial activity' within s.181(5) and PC Bank was not entitled to NITCs; further, the FDR/TSYS single compound supply was...

Source-derived case information.

Citation
2022 TCC 84
Parties
Appellant: President’s Choice Bank; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
19 July 2022
Procedural Posture
Tax Appeal (gst/hst) – Appeals From Reassessments Under the Excise Tax Act / Judgment on Appeals: Appeals Allowed in Part and Reassessments Referred Back to Minister for Reconsideration and Reassessment
Outcome
Appeals allowed in part; reassessments referred back to Minister for reconsideration and reassessment in accordance with reasons; specified adjustments ordered
Legal Topics
Notional Input Tax Credits (nitcs), Coupon Redemption Rules (s.181 Eta), Definition of Commercial Activity (s.123(1)), Exempt Supply Financial Services, Single Compound Supply Characterization, Contractual Interpretation
Source Language
en
Tax Law Gst/hst Banking Law Contract Law Administrative Law Notional Input Tax Credits (nitcs) Coupon Redemption Rules (s.181 Eta) Definition of Commercial Activity (s.123(1)) +3 more

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Parties

President’s Choice Bank

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

Tax Appeal (gst/hst) – Appeals From Reassessments Under the Excise Tax Act / Judgment on Appeals: Appeals Allowed in Part and Reassessments Referred Back to Minister for Reconsideration and Reassessment

  1. 1 Whether PC Bank’s supply to CIBC is an exempt financial service or a taxable supply (PCF Supply Issue)
  2. 2 Whether PC Bank is entitled to claim notional input tax credits under s.181(5) for redemption payments (NITC Issue)
  3. 3 Whether services provided by FDR and TSYS to PC Bank are exempt financial services or taxable supplies (FDR/TSYS Issue)

Ratio Decidendi

The Court held that PC Bank’s redemption payments were made in the course of its PC MasterCard business—an exempt financial service—so those payments were not made 'in the course of a commercial activity' within s.181(5) and PC Bank was not entitled to NITCs; further, the FDR/TSYS single compound supply was predominantly credit-management/administrative/data-processing services falling within exclusionary paragraph r.3 (and alternatively para t), so those supplies were taxable; accordingly the appeals were allowed in part and the reassessments were referred back to the Minister for reconsideration consistent with these conclusions.

Court Disposition

Appeals allowed in part; reassessments referred back to Minister for reconsideration and reassessment in accordance with reasons; specified adjustments ordered

Orders

  • Reassessments referred back to Minister of National Revenue for reconsideration and reassessment in accordance with reasons for judgment
  • PC Bank entitled to additional operational ITCs of $88,674 for the 2009 Period as agreed