Date: 20110708
Docket: T-1347-10
Citation: 2011 FC 838
Ottawa, Ontario, July 8,
2011
PRESENT: The Honourable Madam Justice Simpson
BETWEEN:
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MINISTER OF NATIONAL REVENUE
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Applicant
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and
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CLARIS CLARKE
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Respondent
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REASONS FOR JUDGMENT AND
JUDGMENT
[1]
The
Minister of National Revenue [the Minister] seeks an order authorizing him to
withhold from the respondent [the Taxpayer] a refund of $12,407.13 due with
respect to her 2009 income tax year. The application is made pursuant to
subsection 164(1.2) of the Income Tax Act, RSC 1985, c 1 (15th
Supp) [the Act] and is unopposed.
[2]
For
the following reasons, the application will be allowed.
THE TEST
[3]
Subsection
164(1.2) provides that, where a taxpayer makes a written request for a payment,
the Minister may apply to the Court for authorization to withhold the payment
and a judge shall grant “the order if satisfied that there are reasonable
grounds to believe that the collection of all or any part of an amount assessed
in respect of the taxpayer would be jeopardized by the repayment of the amount.”
[4]
Canada (Minister of
National Revenue) v Chabot, 2010 FC 574, 369 FTR 98 appears to be the only
decision dealing with this section. In that case, Mr. Justice Edmond Blanchard
reached the following conclusions, which I adopt:
In my view, factors that require
consideration in the circumstances of a subsection 164(1.2) application are the
amount of the debt to be collected relative to the amount of the refund, the
taxpayer’s ability to pay or otherwise satisfy the debt, the value of the
taxpayer’s net assets and whether these are sufficient and available to satisfy
the debt independently of the refund. Where it is established that the taxpayer
is able to repay the debt or that his assets are of sufficient value to satisfy
the debt, then releasing the amount of the refund would not jeopardize the
collection of the amount. It is in the context of assessing the taxpayer’s net
wealth and the taxpayer’s ability to satisfy the debt independently of the
refund that the issue of jeopardy is assessed. This may include considering
factors such as unorthodox behaviour of the taxpayer and any evidence regarding
dissipation of assets by the taxpayer. Upon consideration of such factors, if
there are reasonable grounds to believe, in all of the circumstances, that
release of the refund to the taxpayer would result in that amount not being
available to the Minister for collection against the debt, then collection of
the debt is jeopardized for the purposes of subsection 164(1.2) and a jeopardy
order pursuant to that provision is justified.
[5]
I
also adopt Justice Blanchard’s conclusion that the “reasonable grounds”
standard of proof is something less than a balance of probabilities but
nevertheless requires a judge to hold a bona fide belief in a serious
possibility based on credible evidence.
THE EVIDENCE
[6]
The
evidence is found in an affidavit sworn by Daniel Baker on September 13,
2010 [the Affidavit]. Mr. Baker is the Case Officer in the Toronto North Tax
Services Office who has carriage of the Taxpayer’s file.
[7]
The
Affidavit shows that in her income tax returns from 2003 to 2006, the Taxpayer
took credits for charitable donations. However, in reassessments for those
years, [the Reassessments] the Minister disallowed $261,153.00 of the credits
claimed. The Taxpayer has objected to the Reassessments [the Objections] and by
letter dated July 13, 2010, asked the Minister to pay her the of
$12,407.13 which is due in respect of her 2009 income tax return [the Refund].
The Minister then brought the within application.
[8]
When
the Taxpayer requested the Refund, she did not provide any information to
indicate that she was in a position to pay her outstanding tax debt if the
Objections were denied. At the date of the Affidavit, she owed $146,221.17 [the
Tax Debt] with interest being compounded daily.
[9]
As
of this date, the Taxpayer’s Objections are being considered by the Appeals
Branch of the Canada Revenue Agency [CRA] and the Refund has been applied to
reduce the amount found owing under the Reassessments.
[10]
Since
2006, the Taxpayer has continued to claim credits for charitable donations. She
claimed $114,467.00 in 2007, $103,322 in 2008 and $74,773.00 on her 2010
return. CRA is currently auditing her 2007 and 2008 returns.
[11]
On
August 9, 2010, CRA wrote to the Taxpayer asking her to provide details
about her employment income in 2010 and her equity in her RRSP, her investments
and her two properties. As well, she was asked to show the extent of any other
debts and to indicate how she proposed to pay her Tax Debt. The Taxpayer
refused to answer CRA’s questions.
[12]
This
application is based on the following information:
(i)
The
Taxpayer is sixty-six years of age;
(ii)
The
Taxpayer’s income in 2008 was $149,228.00 and almost all of it came from her
employment;
(iii)
In
2009, the Taxpayer’s income dropped to $123,671.00 and only $53,796.00 came
from employment;
(iv)
In
2009, the Taxpayer took $49,102.00 into income from her RRSP and received smaller
amounts from other sources including employment, old age pension, Employment
Insurance, dividends and Workers’ Compensation;
(v)
Over
the years the Taxpayer has contributed $115,028.00 to her RRSP and has
withdrawn a total of $133,984.00;
(vi)
The
Taxpayer has a total limit on her active credit cards and lines of credit of
$320,604.00 and has a total outstanding balance of $242,876.00 leaving her the
capacity to borrow a further $77,728.00. However, she also owes $31,207.00 on a
loan from the Bank of Nova Scotia;
(vii)
The
Taxpayer owns her personal residence and a rental property. However, both were
mortgaged to the full amount of the purchase price when purchased in 2006 and
2009 respectively and the Taxpayer has refused to disclose the status of her
mortgages;
(viii)
The
Taxpayer owns a 2008 model vehicle and the Bank of Nova Scotia has registered a
lien in the amount of $43,895.00. The Taxpayer has refused to disclose the
status of the loan.
DISCUSSION
[13]
The
Tax Debt is $146,221.17 and, on the information available, her income is
declining and she does not appear to have assets which she could sell or use to
secure loans to generate an amount sufficient to retire her Tax Debt.
[14]
In
these circumstances, I have a bona fide belief that there are reasonable
grounds to believe that collection of the Tax Dept would be jeopardized if the
Refund were to be paid to the Taxpayer.
JUDGMENT
THIS COURT’S JUDGMENT
is that
the Minister is hereby authorized to withhold the
Refund under subsection 164(1.2) of the Act.
“Sandra
J. Simpson”
FEDERAL
COURT
SOLICITORS OF RECORD
DOCKET: T-1347-10
STYLE OF CAUSE: Minister
of National Revenue v Claris Clark
PLACE OF HEARING: Toronto,
Ontario
DATE OF HEARING: March 14, 2011
REASONS FOR JUDGMENT: SIMPSON
J.
DATED: July 8, 2011
APPEARANCES:
Kevin Dias
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FOR THE APPLICANT
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SOLICITORS OF RECORD:
Myles
J. Kirvan
Deputy Attorney General of Canada
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FOR THE APPLICANT
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Claris Clark
Richmond Hill, Ontario
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FOR THE RESPONDENT
(ON HER OWN BEHALF)
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