Docket: A-234-13
Citation:
2014 FCA 159
CORAM:
|
GAUTHIER J.A.
MAINVILLE J.A.
BOIVIN J.A.
|
BETWEEN:
|
LES ENTREPRISES DRF INC.
|
Appellant
|
and
|
MINISTER OF NATIONAL REVENUE
|
Respondent
|
Heard at Montréal, Quebec, on June 11, 2014.
Judgment
delivered at Montréal, Quebec, on June
12, 2014.
REASONS FOR JUDGMENT BY:
|
BOIVIN
J.A.
|
CONCURRED
IN BY:
|
GAUTHIER J.A.
MAINVILLE J.A.
|
Docket: A-234-13
Citation: 2014 FCA 159
CORAM:
|
GAUTHIER J.A.
MAINVILLE J.A.
BOIVIN J.A.
|
BETWEEN:
|
LES ENTREPRISES DRF INC.
|
Appellant
|
and
|
MINISTER OF NATIONAL REVENUE
|
Respondent
|
REASONS FOR
JUDGMENT
BOIVIN J.A.
[1]
This is an appeal from a judgment of Angers J.
of the Tax Court of Canada (the Judge) dismissing an appeal brought by Les Entreprises DRF Inc. (the appellant)
against assessments made under Part IX of the Excise Tax Act, R.S.C.
1985, c. E-15 (the Act) with respect to the period between October 1, 2006 to June
30, 2009.
[2]
The appellant’s commercial activities consist of
providing personnel placement services to meat companies. In that context, the
appellant called upon subcontractors to obtain temporary workers.
[3]
The Minister of National Revenue (the Minister)
denied the appellant’s claim for input tax credits (ITC) regarding two
personnel placement agencies, Entreprises A.C.G.S. (A.C.G.S.) and Service d’emploi M.B. (M.B.). The Minister imposed penalties for misrepresentation
and gross negligence for omissions in the appellant’s tax returns during the
period in question.
[4]
Among other things, the Judge concluded that the
appellant failed to provide prima facie evidence of the services it
claims to have received, let alone that such services were rendered by the subcontractors
A.C.G.S. and M.B.
[5]
The appellant argues that based on the
allegations in the Response by the Respondent to its Notice of Appeal, it did
not have the burden of establishing such facts. Hence, according to the
appellant, this appeal is mainly about whether or not it was entitled at law to
a defence of good faith, rather than the defence of due diligence referred to
by the Judge.
[6]
I cannot agree. In the particular circumstances
and context of this case, the Judge was clearly entitled to make the finding
that there was no prima facie evidence demonstrating that the services
described in the invoices were indeed rendered. It is noteworthy to mention the
following: the issue of whether the services in this case were rendered or not
– notwithstanding by whom – could be considered a relevant consideration not
only to determine if the appellant was entitled to the ITC, but also to
determine if the appellant acted in good faith.
[7]
Findings of facts and of mixed fact and law of
the Judge are reviewable under the standard of palpable and overriding error (Housen
v. Nikolaisen, 2002 SCC 33, [2002] 2 S.C.R. 235).
[8]
In the present case, I am of the view that the
Judge thoroughly analyzed the evidence before him. His conclusion rests upon
his assessment of the credibility of the witnesses he heard and of the
documentary evidence. The Judge’s assessment does not contain an overriding and
palpable error.
[9]
Although the appellant has raised a serious
issue of law with respect to the defence of due diligence and good faith, in
light of the findings of fact of the Judge, it is not appropriate to deal with
this matter in this case.
[10]
For the reasons above, it is not necessary to
deal with the appellant’s subsidiary arguments.
[11]
The appeal should therefore be dismissed with
costs.
“Richard Boivin”
“I agree.
Johanne
Gauthier J.A.”
“I agree.
Robert M. Mainville J.A.”
FEDERAL COURT OF APPEAL
NAMES
OF COUNSEL AND SOLICITORS OF RECORD
(APPEAL FROM A JUDGMENT OF ANGERS J. OF THE TAX COURT OF CANADA, DATED JUNE 17, 2013, DOCKET NUMBER 2011-737(GST)G)
STYLE OF CAUSE:
|
LES ENTREPRISES DRF
INC. v. MINISTER OF NATIONAL REVENUE
|
|
PLACE OF HEARING:
|
Montréal, Quebec
|
DATE OF HEARING:
|
JUNE 11, 2014
|
REASONS FOR JUDGMENT BY:
|
BOIVIN J.A.
|
CONCURRED IN BY:
|
GAUTHIER J.A.
MAINVILLE J.A.
|
DATED:
|
June 12, 2014
|
|
|
|
|
APPEARANCES:
Aaron Rodgers
|
For The AppELLANT
|
Philippe
Morin
Claude Lamoureux
|
For The Respondent
|
SOLICITORS OF RECORD:
Garfinkle Nelson-Wiseman Bilmes Rodgers
Montréal, Quebec
|
For The AppELLANT
|
Larivière Meunier
Québec,
Quebec
William F. Pentney
Deputy Attorney General of Canada
|
For The Respondent
|