Stemijon Investments Ltd. v. Canada (Attorney General)

Stemijon Investments Ltd. v. Canada (Attorney General)

The Minister's decision was unreasonable because he confined his discretion to the three scenarios in the Information Circular (IC 07-01) rather than applying the broader statutory discretion in s.220(3.1) of the Income Tax Act; nonetheless, the Court declined to remit for redetermination because on the facts no...

Source-derived case information.

Citation
2011 FCA 299
Parties
Appellant: Stemijon Investments Ltd.; Appellant: Canwest Communications Corporation; Appellant: Canwest Direction Ltd.; Appellant: Leonard Asper Holdings Inc.; Appellant: Lenvest Enterprises Inc.; Appellant: Sensible Shoes Ltd.; Respondent: The Attorney General of Canada
Court
Federal Court of Appeal
Jurisdiction
Canada
Judgment Date
26 October 2011
Procedural Posture
Judicial Review of Minister of National Revenue Decision Under the Income Tax Act / Appeal to the Federal Court of Appeal From Federal Court Judicial Review Decision (judgment)
Outcome
Appeals dismissed; Minister's decisions found unreasonable but no remittal granted because relief could not reasonably be granted on the facts; respondent not awarded costs for the appeals
Legal Topics
Taxpayer Relief, Subsection 220(3.1) Income Tax Act, Form T1135 Reporting, Fettering of Discretion, Reasons for Decision Requirements
Source Language
en
Tax Law Administrative Law Judicial Review Taxpayer Relief Subsection 220(3.1) Income Tax Act Form T1135 Reporting Fettering of Discretion Reasons for Decision Requirements

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Parties

Stemijon Investments Ltd.

Appellant

Canwest Communications Corporation

Appellant

Canwest Direction Ltd.

Appellant

Leonard Asper Holdings Inc.

Appellant

Lenvest Enterprises Inc.

Appellant

Sensible Shoes Ltd.

Appellant

The Attorney General of Canada

Respondent

Procedural Posture

Judicial Review of Minister of National Revenue Decision Under the Income Tax Act / Appeal to the Federal Court of Appeal From Federal Court Judicial Review Decision (judgment)

  1. 1 Whether the Minister fettered his discretion by relying exclusively on Information Circular IC 07-01 rather than s.220(3.1) of the Income Tax Act
  2. 2 Whether the Minister's denial of relief was reasonable under the reasonableness standard (Dunsmuir)
  3. 3 Whether an unreasonable decision should be set aside and remitted for redetermination or denied relief as futile

Ratio Decidendi

The Minister's decision was unreasonable because he confined his discretion to the three scenarios in the Information Circular (IC 07-01) rather than applying the broader statutory discretion in s.220(3.1) of the Income Tax Act; nonetheless, the Court declined to remit for redetermination because on the facts no reasonable decision-maker could have granted relief, so the appeals were dismissed.

Court Disposition

Appeals dismissed; Minister's decisions found unreasonable but no remittal granted because relief could not reasonably be granted on the facts; respondent not awarded costs for the appeals

Orders

  • Appeals dismissed
  • Ministerial decisions found unreasonable but not set aside for redetermination