Transocean Offshore Limited v. The Queen

Transocean Offshore Limited v. The Queen

The settlement payment of US$40,000,000 was compensatory for loss of rental revenue under the Bareboat Charter and therefore was paid as, on account or in lieu of, or in satisfaction of rent or a similar payment for the use of the Explorer in Canada; consequently the payment is subject to Part XIII withholding under...

Source-derived case information.

Citation
2004 TCC 454
Parties
Appellant: Transocean Offshore Limited; Respondent: Her Majesty the Queen
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
25 June 2004
Procedural Posture
Tax Appeal (part XIII Withholding Tax) / Judgment on Appeal (tax Court of Canada)
Outcome
Appeal dismissed
Legal Topics
Withholding Tax, Part XIII, Rent Withholding, Damages, Surrogatum Principle, Characterization of Damages
Source Language
en
Tax Law Income Tax Act International Tax Contract Law Withholding Tax Part XIII Rent Withholding Damages +2 more

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Parties

Transocean Offshore Limited

Appellant

Her Majesty the Queen

Respondent

Procedural Posture

Tax Appeal (part XIII Withholding Tax) / Judgment on Appeal (tax Court of Canada)

  1. 1 Whether the US$40,000,000 settlement payment constituted rent or a similar payment within s.212(1)(d) of the Income Tax Act
  2. 2 Whether the Bareboat Charter ever became operative and whether the Explorer was used in Canada
  3. 3 Whether damages replacing future rent are subject to Part XIII withholding tax

Ratio Decidendi

The settlement payment of US$40,000,000 was compensatory for loss of rental revenue under the Bareboat Charter and therefore was paid as, on account or in lieu of, or in satisfaction of rent or a similar payment for the use of the Explorer in Canada; consequently the payment is subject to Part XIII withholding under s.212(1)(d).

Court Disposition

Appeal dismissed

Orders

  • Appeal dismissed
  • Assessment under s.212(1)(d) upheld