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Docket: 2009-480(IT)I
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BETWEEN:
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CHRISTOPHER SEABROOK,
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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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____________________________________________________________________
Appeal heard on common evidence with the appeal of Margaret
Seabrook (2009‑485(IT)I) on September 8, 2009 and September 11, 2009 at
Vancouver, British Columbia
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Before: The Honourable
Justice L.M. Little
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Appearances:
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Agent for the Appellant:
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Casey Langbroek
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Counsel for the Respondent:
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Matthew Canzer
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____________________________________________________________________
JUDGMENT
The appeal from the assessment made under
the Income Tax Act for the 2006 taxation year is dismissed, without
costs, in accordance with the attached Reasons for Judgment.
Signed at Vancouver, British Columbia,
this 21st day of October 2009.
Little
J.
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Docket: 2009-485(IT)I
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BETWEEN:
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MARGARET SEABROOK,
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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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____________________________________________________________________
Appeal heard on common evidence with the appeal of Christopher
Seabrook (2009‑480(IT)I) on September 8, 2009 and September 11, 2009 at
Vancouver, British Columbia
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Before: The Honourable
Justice L.M. Little
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Appearances:
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Agent for the Appellant:
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Casey Langbroek
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Counsel for the Respondent:
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Matthew Canzer
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____________________________________________________________________
JUDGMENT
The appeal from the assessment made under
the Income Tax Act for the 2006 taxation year is dismissed, without
costs, in accordance with the attached Reasons for Judgment.
Signed at Vancouver, British Columbia,
this 21st day of October 2009.
Little
J.
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Citation: 2009 TCC 532
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Date: 20091021
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Dockets: 2009-480(IT)I
2009-485(IT)I
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BETWEEN:
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CHRISTOPHER SEABROOK,
MARGARET SEABROOK,
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Appellants,
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and
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HER MAJESTY THE QUEEN,
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Respondent.
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REASONS FOR JUDGMENT
Little J.
A. FACTS
[1] The appeals were
heard in Vancouver, British Columbia on
common evidence.
[2] The Appellants have
owned a condominium in Hawaii since 2000.
[3] Since the purchase
of the condominium located in Hawaii (the “Hawaiian Condo”) the Appellants have each filed a Form T1135.
[4] The Minister of
National Revenue (the “Minister”) maintains that the Appellants each filed a Form T1135
for the 2006 taxation year on April 11, 2008.
[5] The evidence also
indicated that the Appellants had an unpaid balance of tax owing for the 2006
taxation year.
[6] By Notice of Assessment
dated June 4, 2008, the Minister assessed the Appellant, Margaret Seabrook, a
late filing penalty of $2,500.00 and arrears interest of $247.77 in respect of
the late filing of Form T1135 for 2006.
[7] By Notice of
Assessment dated August 7, 2008, the Minister assessed the Appellant,
Christopher Seabrook, a late filing penalty of $2,500.00 and arrears interest
of $283.59 in respect of the late filing of Form T1135 for 2006.
[8] By Notification of
Confirmation dated November 12, 2008, the Minister confirmed the Assessments
issued for the Appellants for 2006.
B. ISSUE
[9] Did the Minister
properly assess the Appellants for late filing penalties plus interest?
C. ANALYSIS AND
DECISION
[10] Counsel for the
Respondent filed an Affidavit of Dianne Martineau regarding Margaret Seabrook.
Ms. Martineau stated in the Affidavit that she is in charge of the appropriate
records of the Canada Revenue Agency.
[11] Ms. Martineau’s Affidavit
indicates that Margaret Seabrook filed a Form T1135 on the following
dates:
Taxation
Year Date of Filing
2006 April
11, 2008
2005 August
1, 2007
2004 May
23, 2006
[12] Counsel for the
Respondent also filed an Affidavit of Dianne Martineau regarding the tax
position of Christopher Seabrook.
[13] Ms. Martineau’s
Affidavit indicates that Mr. Seabrook filed a Form T1135 on the following
dates:
Taxation
Year Date of Filing
2006 April
11, 2008
2005 August
1, 2007
2004 June
2, 2006
[14] Subsection 233.3(3)
and section 248 of the Income Tax Act (the “Act”) provide that a
taxpayer must file a Form T1135 on or before April 30th of the year
following the year for which a tax return was filed.
[15] Subsection 162(7) of
the Act reads as follows:
(7) Failure
to comply. Every
person (other than a registered charity) or partnership who fails
(a) to
file an information return as and when required by this Act or the regulations,
or
(b) to
comply with a duty or obligation imposed by this Act or the regulations
is liable in
respect of each such failure, except where another provision of this Act (other
than subsection (10) or (10.1) or 163(2.22)) sets out a penalty for the
failure, to a penalty equal to the greater of $100 and the product obtained
when $25 is multiplied by the number of days, not exceeding 100, during which
the failure continues.
[16] Since Form T1135 for
the 2006 taxation year for each Appellant was not filed until
April 11, 2008, I have concluded that the Minister properly assessed
the penalty for the Appellants in accordance with subsection 162(7) of the Act.
[17] Mr. Casey Langbroek,
C.G.A., filed Notices of Appeal for the Appellants on February 10, 2009. The
Notices of Appeal refer specifically to the Notifications issued by the
Minister for the 2006 taxation year. In the Notice of Appeal for Christopher
Seabrook, there is also a reference to the 2004 taxation year. I have concluded
that there is no basis for filing a Notice of Appeal for the 2004 taxation
year, since a valid Notice of Objection was not filed for the 2004 taxation
year.
[18] The appeals filed on
behalf of Christopher Seabrook and Margaret Seabrook are dismissed, without
costs.
Signed at Vancouver, British Columbia, this 21st day of October 2009.
“L.M. Little”
CITATION: 2009 TCC 532
COURT FILE NOS.: 2009-480(IT)I
2009-485(IT)I
STYLE OF CAUSE: Christopher Seabrook and
Margaret
Seabrook
v.
Her Majesty The Queen
PLACE OF HEARING: Vancouver, British Columbia
DATE OF HEARING: September 8, 2009 and September 11, 2009
REASONS FOR JUDGMENT BY: The Honourable Justice L.M. Little
DATE OF JUDGMENT: October 21, 2009
APPEARANCES:
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Agent for the
Appellants:
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Casey Langbroek
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Counsel for the
Respondent:
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Matthew Canzer
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COUNSEL OF RECORD:
For the Appellant:
Name:
Firm:
For the
Respondent: John H. Sims, Q.C.
Deputy
Attorney General of Canada
Ottawa,
Canada