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Docket: 2003-4400(IT)I
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BETWEEN:
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RICK HERRING,
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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 May 17, 2004 at Toronto,
Ontario
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Before: The Honourable Justice Terrence O'Connor
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Appearances:
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For the Appellant:
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The Appellant himself
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Counsel for the Respondent:
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Eric Sherbert
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____________________________________________________________________
JUDGMENT
The
appeal from the redeterminations made under the Income Tax
Act for the 1998, 1999 and 2000 base taxation years with
respect to the Canada Child Tax Benefit is allowed and the
redeterminations are referred back to the Minister of National
Revenue for reconsideration and reassessment in accordance with
the attached Reasons for Judgment.
Signed at Ottawa, Canada, this 27th day of May, 2004.
O'Connor, J.
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Citation: 2004TCC389
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Date: 20040527
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Docket: 2003-4400(IT)I
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BETWEEN:
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RICK HERRING,
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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 JUDGMENT
O'Connor, J.
[1] After hearing the evidence of the
Appellant and his daughter Kathryn, I have determined, with the
consent of counsel for the Respondent that the Appellant was the
primary caregiver and thus the eligible individual in respect to
his daughter Kathryn from June 1998 to May 2000 and also in
respect to his son Robert from July 1997 to September 2000. (It
being acknowledged by counsel for the Respondent that there is no
issue with respect to periods after May 2000 for Kathryn and
after September 2000 for Robert).
[2] Thus the Appellant is entitled to
the Canada Child Tax Benefits resulting from those facts.
[3] I recognize that under section
122.61 of the Income Tax Act the Minister has discretion
in the event of a late filing to calculate these periods as
commencing only as of August 1999 but I recommend that since it
was apparent and clearly admitted that the Appellant was the
primary caregiver and eligible individual with respect to his
daughter Kathryn and son Robert for the periods cited above that
the Appellant be entitled to the Canada Child Tax Benefits in
relation to those entire periods and that any resultant
reimbursements be remitted to the Appellant.
[4] Thus this appeal is allowed.
Signed
at Ottawa, Canada, this 27th day of May, 2004.
O'Connor, J.
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COURT FILE NO.:
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2003-4400(IT)I
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STYLE OF CAUSE:
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Rick Herring v. H.M.Q.
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PLACE OF HEARING:
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Toronto, Ontario
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DATE OF HEARING:
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May 17, 2004
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REASONS FOR JUDGMENT BY:
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The Honourable Justice T. O'Connor
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DATE OF JUDGMENT:
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May 27, 2004
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For the Appellant:
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The Appellant himself
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Counsel for the Respondent:
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Eric Sherbert
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For the Respondent:
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Morris Rosenberg
Deputy Attorney General of Canada
Ottawa, Canada
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