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Docket: 2003-3394(GST)I
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BETWEEN:
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9049-7769 QUÉBEC INC.,
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Appellant,
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and
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HER MAJESTY THE QUEEN,
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Respondent.
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____________________________________________________________________
Motion heard on January 6, 2004, in Montréal, Quebec
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Before: The
Honourable Justice Louise Lamarre Proulx
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Appearances:
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Representative
of the Appellant:
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Christian
Alcindor
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Counsel for the
Respondent:
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Nicolas Simard
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____________________________________________________________________
ORDER
Upon motion by the
Respondent for an order to dismiss the appeal for lack of jurisdiction of the
Court;
The motion is granted and
the appeal of the decision by the Minister of National Revenue dated
September 4, 2003, is dismissed, for lack of jurisdiction of the
Court, in accordance with the following Reasons for Order.
Signed at Ottawa, Canada,
this 5th day of February 2004.
Lamarre
Proulx J.
Translation
certified true
on this 29th
day of December 2004.
Colette
Dupuis-Beaulne, Translator
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Citation: 2004TCC110
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Date: 20040205
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Docket: 2003-3394(GST)I
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BETWEEN:
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9049-7769 QUÉBEC INC.,
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Appellant,
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and
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HER MAJESTY THE QUEEN,
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Respondent.
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REASONS FOR ORDER
Lamarre Proulx
J.
[1] This
is a motion to dismiss the Appellant's appeal on the grounds that the Court
lacks jurisdiction to hear this appeal.
[2] The
Appellant filed a notice of appeal on September 18, 2003, from a
decision of the Canada Customs and Revenue Agency ("CCRA"), rendered
on September 4, 2003, concerning an application for refund of customs
duty under the Exported Motor Vehicles Drawback Regulations, SOR/96‑34,
which were made under the authority of the Customs Tariff, R.S.C., 1985
(3rd Supp.) c. 41.
[3] According
to the notice of appeal, the goods and services tax paid pursuant to
Division III of the Excise Tax Act (the "Act") was
refunded. I thus need not consider the jurisdiction of this Court in this
regard.
Analysis and conclusion
[4] It
is first necessary to refer to section 12 of the Tax
Court of Canada Act,
R.S.C. 1985, c. T-2, which provides that the Court has exclusive original jurisdiction to hear and determine
references and appeals to the Court on matters arising under certain acts
mentioned therein, where references or appeals to the Court are provided for in
those Acts.
[5] The
representative of the Appellant referred to Division III of the Act,
which is entitled: "Tax on Importation of Goods".
[6] According
to section 214, tax on goods under this Division shall be paid and collected
under the Customs Act. The only provisions in Division III that clearly
grant jurisdiction to our Court are subsections 216(4) and 216(5), which deal
with classification of goods.
[7] Here
the subject of the appeal is a refund of customs duty. I do not see any
provision in Division III of the Act that grants jurisdiction to our
Court in this regard.
[8] Generally
speaking, the jurisdiction of the Court pursuant to the Act stems from
sections 301 and following of the Act. This jurisdiction starts
with the assessment of a person. Here, there was no assessment.
Subsection 296(1) of the Act, which gives the Minister of National
Revenue authority to assess, does not include tax payable pursuant to Division
III of the Act.
[9] This
subsection reads as follows:
296(1) The Minister may
assess:
(a) the net tax of
a person under Division V for a reporting period of the person,
(b) any tax payable
by a person under Division II, IV or IV.1,
(c) any penalty or
interest payable by a person under this Part,
(d) any amount
payable by a person under any of paragraphs 228(2.1)(b) and (2.3)(d)
and section 230.1, and
(e) any
amount which a person is liable to pay or remit under subsection 177(1.1) or
Subdivision a or b.1 of Division VII,
and may reassess or make an
additional assessment of tax, net tax, penalty, interest or an amount referred
to in paragraph (d) or (s).
[10] In conclusion, we are not dealing with classification of goods and
there was no assessment.
[11] Consequently, the motion is granted and the appeal is dismissed for
lack of jurisdiction of this Court.
Signed at Ottawa, Canada, this 5th day of February 2004.
Lamarre
Proulx J.
Translation
certified true
on this 29th
day of December 2004.
Colette
Dupuis-Beaulne, Translator