Canadian Legal Information Institute v. The Queen

Canadian Legal Information Institute v. The Queen

The Court held that the Federation's levy payments, determined pursuant to by-law and the Governance Agreement, were payable by operation of law and sufficiently linked to CanLII's provision of the virtual library; therefore CanLII made a taxable supply and is entitled to input tax credits totaling $745,690.89 for...

Source-derived case information.

Citation
2020 TCC 56
Parties
Appellant: The Canadian Legal Information Institute; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
17 July 2020
Procedural Posture
Appeal From GST Assessments Under the Excise Tax Act (tax Court of Canada) / Final Judgment (reasons for Judgment Issued)
Outcome
Appeals allowed; assessments set aside and referred back to the Minister for reconsideration and reassessment on basis that Appellant made a taxable supply and is entitled to ITCs.
Legal Topics
Input Tax Credits, Exempt Supplies, Consideration, Public Sector Body Funding
Source Language
en
Tax (gst/hst) Administrative Law Input Tax Credits Exempt Supplies Consideration Public Sector Body Funding

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Parties

The Canadian Legal Information Institute

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

Appeal From GST Assessments Under the Excise Tax Act (tax Court of Canada) / Final Judgment (reasons for Judgment Issued)

  1. 1 Whether CanLII made a taxable supply or an exempt supply under Schedule V Part VI s.10 of the ETA
  2. 2 Whether payments from the Federation constituted "consideration" under s.123(1) of the ETA
  3. 3 Whether documentary requirements for ITCs under s.169(4) were met

Ratio Decidendi

The Court held that the Federation's levy payments, determined pursuant to by-law and the Governance Agreement, were payable by operation of law and sufficiently linked to CanLII's provision of the virtual library; therefore CanLII made a taxable supply and is entitled to input tax credits totaling $745,690.89 for the periods at issue.

Court Disposition

Appeals allowed; assessments set aside and referred back to the Minister for reconsideration and reassessment on basis that Appellant made a taxable supply and is entitled to ITCs.

Orders

  • Appeals allowed with costs
  • Assessments referred back to the Minister of National Revenue for reconsideration and reassessment on the basis that the Appellant made a taxable supply and is entitled to claim input tax credits totaling $745,690.89 for the quarterly reporting periods April 1, 2013 to June 30, 2015