Docket: 2007-200(IT)I
BETWEEN:
BELLA LAFONTAINE,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent.
____________________________________________________________________
Appeals called
for hearing with the appeals of
Kimberly Marinacci (2007-973(IT)I),
Simon A. Paul (2007-989(IT)I),
Robert Hendry (2007-1111(IT)I),
Sarah B. Doxtater (2007-3011(IT)I) and
Joanna Wemigwans (2008-4043(IT)I),
on August 16, 2010, at Toronto, Ontario
Before: The Honourable
Justice Wyman W. Webb
Appearances:
|
Agent for the Appellant:
|
Seth
LeFort
|
|
Counsel for the Respondent:
|
Andrea Jackett
Brandon Siegal
|
____________________________________________________________________
JUDGMENT
The appeals from the
reassessments made under the Income Tax Act for the 1995, 1996, 1997,
1999, 2000, 2001, 2002, 2003, 2004, 2005, 2006, 2007 and 2008 taxation years
are dismissed.
Signed at Halifax, Nova
Scotia, this 20th day of August, 2010.
“Wyman W. Webb”
Docket: 2007-973(IT)I
BETWEEN:
KIMBERLY MARINACCI,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent.
____________________________________________________________________
Appeals called for hearing with the appeals
of
Bella Lafontaine (2007-200(IT)I),
Simon A. Paul (2007-989(IT)I),
Robert Hendry (2007-1111(IT)I),
Sarah B. Doxtater (2007-3011(IT)I), and
Joanna Wemigwans (2008-4043(IT)I),
on August 16, 2010, at Toronto, Ontario
Before: The Honourable Justice Wyman W.
Webb
Appearances:
|
Agent for the
Appellant:
|
Seth LeFort
|
|
Counsel for the
Respondent:
|
Andrea Jackett
Brandon Siegal
|
____________________________________________________________________
JUDGMENT
The appeals from the
reassessments made under the Income Tax Act for the 1999 and 2000
taxation years are dismissed.
Signed at Halifax, Nova Scotia, this 20th day of August, 2010.
“Wyman W. Webb”
Docket: 2007-989(IT)I
BETWEEN:
SIMON A. PAUL,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent.
____________________________________________________________________
Appeals called for hearing with the appeals
of
Bella Lafontaine (2007-200(IT)I),
Kimberly Marinacci (2007-973(IT)I),
Robert Hendry (2007-1111(IT)I),
Sarah B. Doxtater (2007-3011(IT)I) and
Joanna Wemigwans (2008-4043(IT)I),
on August 16, 2010, at Toronto, Ontario
Before: The Honourable Justice Wyman W.
Webb
Appearances:
|
Agent for the
Appellant:
|
Seth LeFort
|
|
Counsel for the
Respondent:
|
Andrea Jackett
Brandon Siegal
|
____________________________________________________________________
JUDGMENT
The appeals from the
reassessments made under the Income Tax Act for the 1995 and 1996
taxation years are dismissed.
Signed at Halifax, Nova
Scotia, this 20th day
of August, 2010.
“Wyman W. Webb”
Docket: 2007-1111(IT)I
BETWEEN:
ROBERT HENDRY,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent.
____________________________________________________________________
Appeals called for hearing with the appeals
of
Bella Lafontaine (2007-200(IT)I),
Kimberly Marinacci (2007-973(IT)I),
Simon A. Paul (2007-989(IT)I),
Sarah B. Doxtater (2007-3011(IT)I), and
Joanna Wemigwans (2008-4043(IT)I,
on August 16, 2010, at Toronto, Ontario
Before: The Honourable Justice Wyman W.
Webb
Appearances:
|
Agent for the
Appellant:
|
Seth LeFort
|
|
Counsel for the
Respondent:
|
Andrea Jackett
Brandon Siegal
|
____________________________________________________________________
JUDGMENT
The appeals from the
reassessments made under the Income Tax Act for the 1999, 2000, 2001,
2002, 2003, 2004, 2005, 2006, 2007 and 2008 taxation years are dismissed.
Signed at Halifax, Nova Scotia, this 20th day of August, 2010.
“Wyman W. Webb”
Docket: 2007-3011(IT)I
BETWEEN:
SARAH B. DOXTATER,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent.
____________________________________________________________________
Appeals called for hearing with the appeals
of
Bella Lafontaine (2007-200(IT)I),
Kimberly Marinacci (2007-973(IT)I),
Simon A. Paul (2007-989(IT)I),
Robert Hendry (2007-1111(IT)I), and
Joanna Wemigwans (2008-4043(IT)I),
on August 16, 2010, at Toronto, Ontario
Before: The Honourable Justice Wyman W.
Webb
Appearances:
|
Agent for the
Appellant:
|
Seth LeFort
|
|
Counsel for the
Respondent:
|
Andrea Jackett
Brandon Siegal
|
____________________________________________________________________
JUDGMENT
The appeals from the
reassessments made under the Income Tax Act for the 2003, 2004, 2005 and
2007 taxation years are dismissed.
Signed at Halifax, Nova
Scotia, this 20th day
of August, 2010.
“Wyman W. Webb”
Docket: 2008-4043(IT)I
BETWEEN:
JOANNA WEMIGWANS,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent.
____________________________________________________________________
Appeals called for hearing with the appeals
of
Bella Lafontaine (2007-200(IT)I),
Kimberly Marinacci (2007-973(IT)I),
Simon A. Paul (2007-989(IT)I),
Robert Hendry (2007-1111(IT)I), and
Sarah B. Doxtater (2007-3011(IT)I),
on August 16, 2010, at Toronto, Ontario
Before: The Honourable Justice Wyman W.
Webb
Appearances:
|
Agent for the
Appellant:
|
Seth LeFort
|
|
Counsel for the
Respondent:
|
Andrea Jackett
Brandon Siegal
|
____________________________________________________________________
JUDGMENT
The appeals from the
reassessments made under the Income Tax Act for the 2006, 2007 and 2008
taxation years are dismissed.
Signed at Halifax, Nova Scotia, this 20th day of August, 2010.
“Wyman W. Webb”
Citation: 2010TCC433
Date: 20100820
Docket: 2007-200(IT)I
BETWEEN:
BELLA LAFONTAINE,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent,
AND BETWEEN:
2007-973(IT)I
KIMBERLY MARINACCI,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent,
AND BETWEEN:
2007-989(IT)I
SIMON A. PAUL,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent,
AND BETWEEN:
2007-1111(IT)I
ROBERT HENDRY,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent,
AND BETWEEN:
2007-3011(IT)I
SARAH B. DOXTATER,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent,
AND BETWEEN:
2008-4043(IT)I
JOANNA WEMIGWANS,
Appellant,
and
HER MAJESTY THE QUEEN,
Respondent.
REASONS FOR JUDGMENT
Webb, J.
[1]
All of the Appellants
are represented by Seth LeFort, who was acting as their agent. Mr. LeFort
stated at the commencement of the hearing that he would not be calling any
evidence and was only present to state the position of the Appellants. The
position of the Appellants was that they were requesting an alternate process to
resolve the disagreement that has arisen between the Respondent and the
Appellants. The Appellants (except Robert Hendry) had appealed to this Court in
relation to the assessments (or reassessments) of taxes imposed under the Income
Tax Act in relation to income earned while they were employees of Native
Leasing Services and in the case of Robert Hendry in relation to the amount
that he was claiming as a tax credit pursuant to section 118 of the Income
Tax Act for his spouse, which is dependent on whether the income earned by
his spouse, while she was an employee of Native Leasing Services, should be
included in her income for the purposes of determining his claim for this tax
credit.
[2]
This Court was formed by an Act of
Parliament, the Tax Court of Canada Act. The jurisdiction of this Court
is set out in section 12 of that Act and in particular subsection 12(1)
of this Act provides as follows:
12. (1) The
Court has exclusive original jurisdiction to hear and determine references and
appeals to the Court on matters arising under the Air Travellers
Security Charge Act, the Canada Pension Plan, the Cultural
Property Export and Import Act, Part V.1 of the Customs Act, the Employment
Insurance Act, the Excise Act, 2001, Part IX of the Excise Tax
Act, the Income Tax Act, the Old Age Security Act, the
Petroleum and Gas Revenue Tax Act and the Softwood Lumber Products
Export Charge Act, 2006 when references or appeals to the Court are
provided for in those Acts.
(emphasis added)
[3]
The remedies that this Court may
grant in relation to appeals arising under the Income Tax Act are set
out in section 171 of this Act which provides that:
171. (1) The
Tax Court of Canada may dispose of an appeal by
(a) dismissing it; or
(b) allowing it and
(i) vacating the assessment,
(ii) varying the assessment, or
(iii)
referring the assessment back to the Minister for reconsideration and
reassessment.
[4]
This Court does not have the power
to compel the Respondent to pursue any other process to resolve a dispute
related to taxes payable under the Income Tax Act.
[5]
The Appellants did not raise any
arguments in relation to the assessments or reassessments that were appealed to
this Court and made no attempt to distinguish their cases from those that have
been previously decided in relation to individuals who were employees of Native
Leasing Services or a related company, namely:
a.
The Queen v. Shilling, 2001 DTC 5420 (FCA). Leave to
appeal this decision to the Supreme Court of Canada was dismissed ([2001]
S.C.C.A. No. 434);
b.
Horn and Williams v. The Queen [2008] 1 C.T.C. 140, 2007 DTC 5589
(FC); appeals to the FCA were dismissed 2008 FCA 352, 2008 DTC 6743;
Application for leave to appeal to the Supreme Court of Canada was dismissed
([2009] S.C.C.A. No. 8);
c.
Roe v. The Queen, 2009 DTC 1020, 2008 TCC 667;
d.
Googoo v. The Queen, 2009 DTC 1061; and
e.
McIvor et al. v. The Queen, 2009 DTC 1330, 2009
TCC 469.
[6]
Since the Appellants did not
introduce any evidence and stated that they were seeking an alternate process
to resolve the dispute, their appeals to this Court are dismissed.
Signed at Halifax, Nova Scotia, this 20th day of August, 2010.
“Wyman W. Webb”
CITATION: 2010TCC433
COURT FILE NOS.: 2007-200(IT)I; 2007-973(IT)I;
2007-989(IT)I;
2007-1111(IT)I;
2007-3011(IT)I;
2008-4043(IT)I
STYLE OF CAUSE: BELLA LAFONTAINE AND
H.M.Q.
AND BETWEEN KIMBERLY MARINACCI AND H.M.Q. AND BETWEEN SIMON A. PAUL AND H.M.Q.
AND BETWEEN ROBERT HENDRY AND H.M.Q. AND BETWEEN SARAH B. DOXTATER AND H.M.Q.
AND BETWEEN JOANNA WEMIGWANS AND H.M.Q.
PLACE OF HEARING: Toronto, Ontario
DATE OF HEARING: August 16, 2010
REASONS FOR JUDGMENT BY: The
Honourable Justice Wyman W. Webb
DATE OF JUDGMENT: August 20, 2010
APPEARANCES:
|
Agent the Appellants:
|
Seth LeFort
|
|
Counsel for the
Respondent:
|
Andrea Jackett
Brandon Siegal
|
|
|
|
COUNSEL OF RECORD:
For the Appellants:
Name:
Firm:
For the
Respondent: Myles J. Kirvan,
Deputy
Attorney General of Canada
Ottawa,
Canada