Un1que Productions Inc. v. The King

Un1que Productions Inc. v. The King

The appellant failed to establish that it carried on a commercial activity during the relevant periods; the expenditures were personal to the sole shareholder/officer and not incurred in the course of a commercial activity, and therefore the claimed input tax credits must be disallowed.

Source-derived case information.

Citation
2024 TCC 7
Parties
Appellant: Un1que Productions Inc.; Respondent: His Majesty the King
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
16 January 2024
Procedural Posture
Excise Tax Act (part Ix) Assessment Appeal (gst) / Judgment on Appeal (appeal Dismissed)
Outcome
Appeal dismissed
Legal Topics
Input Tax Credits, Commercial Activity, Personal Expenses, Document Retention Requirements
Source Language
en
Tax Law Goods and Services Tax (gst) Administrative Law Input Tax Credits Commercial Activity Personal Expenses Document Retention Requirements

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Parties

Un1que Productions Inc.

Appellant

His Majesty the King

Respondent

Procedural Posture

Excise Tax Act (part Ix) Assessment Appeal (gst) / Judgment on Appeal (appeal Dismissed)

  1. 1 Whether the appellant carried on a commercial activity during the relevant periods
  2. 2 Whether the ITC claims related to personal expenses of the sole shareholder/officer
  3. 3 Whether the appellant complied with document retention requirements under subsection 169(4) and Regulations

Ratio Decidendi

The appellant failed to establish that it carried on a commercial activity during the relevant periods; the expenditures were personal to the sole shareholder/officer and not incurred in the course of a commercial activity, and therefore the claimed input tax credits must be disallowed.

Court Disposition

Appeal dismissed

Orders

  • Appeal from the Minister's assessment under the Excise Tax Act for the reporting periods January 1, 2015 to September 30, 2015; July 1, 2016 to September 30, 2016; July 1, 2017 to September 30, 2017; and January 1, 2019 to September 30, 2019 is dismissed.