Samuel C. Young Professional Corporation (SYPC) v. The Queen

Samuel C. Young Professional Corporation (SYPC) v. The Queen

On the facts the court found the appellant acted as agent for, and Winnie was the de facto purchaser; the vendors and third parties had no indication the appellant was acquiring only as trustee for Winnie. Consequently the transaction gave rise to GST liability which the appellant was required to report and remit;...

Source-derived case information.

Citation
2007 TCC 69
Parties
Appellant: Samuel C. Young Professional Corporation; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
3 February 2007
Procedural Posture
GST Assessment Appeal Under the Excise Tax Act / Reasoned Judgment (tax Court of Canada)
Outcome
Appeal dismissed.
Legal Topics
GST on Sale of Land, Inter Vivos Trust Deemed Supply, Bare Trustee Vs Agent, Self Assessment and Net Tax, Input Tax Credit Entitlement
Source Language
en
Tax Law Goods and Services Tax Trusts and Property Law GST on Sale of Land Inter Vivos Trust Deemed Supply Bare Trustee Vs Agent Self Assessment and Net Tax Input Tax Credit Entitlement

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Parties

Samuel C. Young Professional Corporation

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

GST Assessment Appeal Under the Excise Tax Act / Reasoned Judgment (tax Court of Canada)

  1. 1 Whether the appellant purchased the land as a bare trustee/agent for a non-registrant beneficial owner (Winnie) or purchased beneficially for itself
  2. 2 Whether GST was payable on the acquisition and subsequent transfer of the subject land and whether the appellant was liable for the GST assessment of $9,555
  3. 3 Whether the vendors were required to collect GST on their sale to the appellant

Ratio Decidendi

On the facts the court found the appellant acted as agent for, and Winnie was the de facto purchaser; the vendors and third parties had no indication the appellant was acquiring only as trustee for Winnie. Consequently the transaction gave rise to GST liability which the appellant was required to report and remit; the assessment for net GST of $9,555 was upheld.

Court Disposition

Appeal dismissed.

Orders

  • Assessment dated January 28, 2005 for the reporting period ending December 31, 2002 is upheld.
  • Appellant liable for net GST of 9,555.00 CAD (7% of 136,500.00 CAD).