Dockets:
A-312-14
A-313-14
Citation:
2015 FCA 208
CORAM:
|
GAUTHIER J.A.
WEBB J.A.
NEAR J.A.
|
Docket: A-312-14
|
BETWEEN:
|
JOHN DI MAURO
|
Appellant
|
and
|
HER MAJESTY THE
QUEEN
|
Respondent
|
Docket: A-313-14
|
AND BETWEEN:
|
DEBORA DO COUTO
|
Appellant
|
and
|
HER MAJESTY THE
QUEEN
|
Respondent
|
Heard at Toronto, Ontario, on September 28, 2015.
Judgment delivered from the Bench at Toronto, Ontario, on September
28, 2015.
REASONS FOR JUDGMENT OF THE COURT BY:
|
GAUTHIER
J.A.
|
Dockets:
A-312-14
A-313-14
Citation:
2015 FCA 208
CORAM:
|
GAUTHIER J.A.
WEBB J.A.
NEAR J.A.
|
Docket: A-312-14
|
BETWEEN:
|
JOHN DI MAURO
|
Appellant
|
and
|
HER MAJESTY THE
QUEEN
|
Respondent
|
Docket: A-313-14
|
AND BETWEEN:
|
DEBORA DO COUTO
|
Appellant
|
and
|
HER MAJESTY THE
QUEEN
|
Respondent
|
REASONS FOR JUDGMENT OF THE COURT
(Delivered from the Bench at Toronto, Ontario, on
September 28, 2015).
GAUTHIER J.A.
[1]
John Di Mauro and Debora Do Couto appeal the
Order of Justice Diane Campbell of the Tax Court of Canada striking out their
Fresh Amended Notices of Appeal dated April 11, 2014 together with all prior
Notices of Appeal.
[2]
The appellants confirm that their Fresh Amended
Notices of Appeal dated April 11, 2014 had not been filed in accordance with
Rule 54 of the Tax Court of Canada Rules (General Procedure), SOR/90-688a. This would in itself be a sufficient basis to strike them.
[3]
As to the striking of the prior Notices of
Appeal, particularly the Amended Notices of Appeal dated June 25, 2013, we are
of the view and the Crown agrees that there was no basis to strike them (Brown
v. Her Majesty the Queen, 2014 FCA 301). The June 25, 2013 Amended Notices
of Appeal only raise two issues, namely, the assessment of penalties under
subsection 163(2) of the Income Tax Act, R.S.C. 1985 c. 1 (5th
Supp.) as amended and whether the 2006 and 2007 reassessments are statute
barred.
[4]
Accordingly, the appeal will be allowed in part
as follows:
a)
The Order of the Tax Court of Canada will be
amended to read: The Fresh Amended Notices of Appeal are struck.
b)
The rest of the Order including the portion
dealing with costs is rescinded.
c)
The appeals before the Tax Court of Canada will
be reinstated based on the June 25, 2013 Amended Notices of Appeal and the replies
dated September 30, 2013.
d)
The appellants shall each be entitled to one
half of the one set of costs granted for these two appeals.
[5]
Although these two appeals have not been
consolidated, they raise the same issue and were dealt with together in the Tax
Court of Canada. Thus, these Reasons will apply to both appeals and a copy
thereof will be placed on each file (the original being placed in A-312-14).
"Johanne Gauthier"
FEDERAL
COURT OF APPEAL
NAMES
OF COUNSEL AND SOLICITORS OF RECORD
APPEAL FROM AN ORDER OF THE
HONOURABLE MADAM JUSTICE DIANE CAMPBELL OF THE TAX COURT OF CANADA, DATED JUNE
9, 2014, DOCKET NUMBERS 2012-4740(IT)G AND 2012-4742(IT)G
DOCKET:
|
A-312-14
|
|
STYLE OF CAUSE:
|
JOHN DI MAURO
v. HER MAJESTY THE QUEEN
|
|
AND DOCKET:
|
A-313-14
|
|
STYLE OF CAUSE:
|
DEBORA DO COUTO
v. HER MAJESTY THE QUEEN
|
|
PLACE OF
HEARING:
|
Toronto, Ontario
|
DATE OF
HEARING:
|
September 28, 2015
|
REASONS
FOR JUDGMENT OF THE COURT BY:
|
GAUTHIER J.A.
WEBB J.A.
NEAR J.A.
|
DELIVERED
FROM THE BENCH BY:
|
GAUTHIER
J.A.
|
|
|
|
|
APPEARANCES:
Joel Sumner
|
For The
Appellant
|
Rishma Bhimji
H. Annette Evans
|
For The
Respondent
|
SOLICITORS OF RECORD:
Joel Sumner
Barrister and Solicitor
Toronto, Ontario
|
For The
Appellant
|
William F. Pentney
Deputy Attorney General of Canada
|
For The
Respondent
|