Docket: A-298-14
Citation: 2015 FCA 292
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CORAM:
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NADON J.A.
TRUDEL J.A.
SCOTT J.A.
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BETWEEN:
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RAYNALD GRENIER
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Appellant
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and
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THE ATTORNEY
GENERAL OF CANADA FOR THE CANADA REVENUE AGENCY (CRA)
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Respondent
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Heard
at Québec, Quebec, on December 15, 2015.
Judgment delivered at Ottawa, Ontario, on December 17, 2015.
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REASONS FOR
JUDGMENT BY:
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SCOTT
J.A.
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CONCURRED IN BY:
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NADON
J.A.
TRUDEL
J.A.
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Docket: A-298-14
Citation: 2015 FCA 292
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CORAM:
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NADON J.A.
TRUDEL J.A.
SCOTT J.A.
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BETWEEN:
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RAYNALD GRENIER
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Appellant
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and
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THE ATTORNEY
GENERAL OF CANADA FOR THE CANADA REVENUE AGENCY (CRA)
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Respondent
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REASONS FOR JUDGMENT
SCOTT J.A.
[1]
Raynald Grenier (appellant) appeals from the
decision of Justice Martineau (the Judge) of the Federal Court dated May 27,
2014, 2014 FC 504, granting a motion to strike his application for judicial
review, which was filed against a decision by the Canada Revenue Agency (CRA) on
February 10, 2014, denying his second request for relief relating to the taxation
years 1981 to 1996, 2001 to 2004, and 2006, to overturn the decision to limit
his farm losses.
[2]
The appellant makes two submissions before this
Court. He alleges that the Judge erred by striking out his application for
judicial review on the basis that the Federal Court did not have jurisdiction
to grant the remedies sought, which are a matter for the Tax Court of Canada. He
submits that the Judge was also required to address his cause of action based
on the Canadian Charter of Rights and Freedoms, Part I of the Constitution
Act, 1982, Schedule B to the Canada Act 1982 (U.K.), 1982, c. 11 (the
Charter). Indeed, the appellant, who is a physician, argues that he was
discriminated against because he has two sources of income, that is, income
from his medical practice and income from his sylvicultural operation. He submits
that the application of subsections 31(1) and (1.1) of the Income Tax Act,
R.S.C. 1985, c. 1 (5th Supp.) (Act) is a violation of section 15 of the Charter.
The CRA disallowed the deduction of a portion of his losses from his farming business
on the grounds that farming was not his chief source of income during the years
in dispute.
[3]
I am of the opinion that those arguments cannot
succeed. The appellant’s application for judicial review failed to raise a
cognizable administrative law claim. The Judge was correct in ruling that the
Federal Court could not grant him the remedy sought.
[4]
The Federal Court could not then examine the
appellant’s constitutional argument, irrespective of whether or not he served a
notice of constitutional question. The Supreme Court has noted on numerous
occasions that it must be vigilant “to ensure that a
proper factual foundation exists before measuring legislation against the
provisions of the Charter, particularly where the effects of impugned
legislation are the subject of the attack” (Danson v. Ontario (Attorney
General), [1990] 2 S.C.R. 1086, page 1099; Canadian Broadcasting
Corp. v. New Brunswick (Attorney General), [1996] 3 S.C.R. 480, paragraph
15; British Columbia (Attorney General) v. Christie, 2007 SCC 21, [2007]
1 S.C.R. 873, paragraph 28; Canada v. Stanley J. Tessmer Law Corporation,
2013 FCA 290, paragraph 9).
[5]
For these reasons, I propose to dismiss the
appeal with costs.
“A.F. Scott”
“I concur.
M. Nadon, J.A.”
“I concur.
Johanne Trudel, J.A.”
Certified true
translation
Francois Brunet,
Revisor
FEDERAL
COURT OF APPEAL
SOLICITORS
OF RECORD
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DoCKET:
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A-298-14
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STYLE OF CAUSE:
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RAYNALD GRENIER
v. THE ATTORNEY GENERAL OF CANADA FOR THE CANADA REVENUE AGENCY (CRA)
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PLACE OF
HEARING:
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Québec, QuEBec
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DATE OF
HEARING:
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DECEMBER 15, 2015
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REASONS
FOR JUDGMENT BY:
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SCOTT J.A.
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CONCURRED
IN BY:
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nadon J.A.
TRUDEL J.A.
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DATED:
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DECEMBER 17, 2015
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APPEARANCES:
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Raynald Grenier
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FOR THE
APPELLANT
(Self-represented)
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Lune Arpin
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FOR THE
RESPONDENT
THE ATTORNEY GENERAL OF CANADA FOR THE
CANADA REVENUE AGENCY (CRA)
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SOLICITORS OF RECORD:
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William F. Pentney
Deputy Attorney General of Canada
Ottawa, Ontario
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FOR THE
RESPONDENT
THE ATTORNEY GENERAL OF CANADA FOR THE
CANADA REVENUE AGENCY (CRA)
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