Jeannotte v. The Queen

Jeannotte v. The Queen

The dividend paid by the corporation to the trust and distributed to the Appellant, a specified individual, met the statutory definition of split income under s.120.4, was not an excluded amount, and therefore the Minister's assessment under s.120.4 was valid; no requirement exists to identify the loan source or...

Source-derived case information.

Citation
2011 TCC 247
Parties
Appellant: Tenaya Jeannotte; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
3 March 2011
Procedural Posture
Income Tax Appeal (tax Court of Canada) / Reasons for Judgment Appeal Dismissed
Outcome
Appeal dismissed; assessment under s.120.4 upheld.
Legal Topics
Kiddie Tax, Section 120.4, Split Income, Trust Distributions, Tax Assessment
Source Language
en
Income Tax Tax Law Trusts Kiddie Tax Section 120.4 Split Income Trust Distributions Tax Assessment

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Parties

Tenaya Jeannotte

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

Income Tax Appeal (tax Court of Canada) / Reasons for Judgment Appeal Dismissed

  1. 1 Whether subsection 120.4(2) of the Income Tax Act applies to dividends received by a specified individual via a trust
  2. 2 Whether the dividend is a "split income" or an "excluded amount"
  3. 3 Whether identification of the source of funds or the person who made the loan is required for s.120.4 to apply

Ratio Decidendi

The dividend paid by the corporation to the trust and distributed to the Appellant, a specified individual, met the statutory definition of split income under s.120.4, was not an excluded amount, and therefore the Minister's assessment under s.120.4 was valid; no requirement exists to identify the loan source or property transfer for s.120.4 to apply.

Court Disposition

Appeal dismissed; assessment under s.120.4 upheld.

Orders

  • Appeal dismissed and Minister's assessment under section 120.4 of the Income Tax Act is confirmed.