French and English Version

Table of Contents

Cases

Inwest Investments Ltd. v. The Queen, 2015 BCSC 1375

Fitzpatrick J., after noting (at para. 101) that the French version of s. 152(4)(a)(i) rendered “misrepresentation” as “misrepresentation of...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 152 - Subsection 152(4) - Paragraph 152(4)(a) - Subparagraph 152(4)(a)(i) reasonable filing position position cannot be a “misrepresentation” 508
Tax Topics - Income Tax Act - Section 232 - Subsection 232(1) - Solicitor-Client Privilege not necessary to provide legal opinion to rely on having consulted legal counsel 215
Tax Topics - Income Tax Regulations - Regulation 400 - Subsection 400(2) no fixed place of “business” if no source of business income 165
Tax Topics - Income Tax Act - Section 248 - Subsection 248(1) - Business Marconi test of "business" applied outside source-of-income context 136

ConocoPhillips Canada Resources Corp. v. Canada (National Revenue), 2016 DTC 5016 [at 6588], 2016 FC 98

After noting ambiguities in the French version of s. 165(3). Boswell J stated (at paras. 45-46):

Under the Daoust approach [2004 SCC 6, at paras....

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 220 - Subsection 220(2.1) discretion under s. 220(2.1) to waive filing a Notice of Objection 474
Tax Topics - Income Tax Act - Section 165 - Subsection 165(1) Minister can consider reassessment without Notice of Objection 216

Medovarski v. Canada (Minister of Citizenship and Immigration); Esteban v. Canada (Minister of Citizenship and Immigration), 2005 SCC 51, [2005] 2 S.C.R. 539

McLachlin C.J.C. at para. 24-25:

In interpreting bilingual statutes, the statutory interpretation should begin with a search for the shared...

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Canada v. Agazarian, 2004 DTC 6366, 2004 FCA 32

Although the French version of s. 152(4)(b)(i) (unlike the preamble to the English version) did not contain the phrase "at any time", thereby...

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Markevich v. Canada, 2003 DTC 5185, 2003 SCC 9, [2003] 1 S.C.R. 94

The Court concluded (at p. 5192) in considering the interpretation of section 32 of the Crown Liability and Proceedings Act (Canada) that "the...

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R. v. Jarvis, 2002 DTC 7547, 2002 SCC 73, [2002] 3 S.C.R. 757

The Court noted (at p. 7562) that "the words employed in the English and French versions of the federal statute are equally authoritative and...

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S.T.B. Holdings Ltd. v. Canada, 2002 DTC 7450, 2002 FCA 386

Recourse was made to French dictionary definitions to shed light on the meaning of the English version of s. 245(7).

Hogg v. Canada, 2002 DTC 7037, 2002 FCA 177

Reference to the French version of s. 8(1)(h.1) of the Act eliminated any doubt that the motor vehicle expenses in respect of which a taxpayer...

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See Also

Rio Tinto Alcan Inc. v. The Queen, 2016 TCC 172

Hogan J noted that the English version of s. 20(1)(bb), using "specific shares," was more restrictive than the French version referring to...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 18 - Subsection 18(1) - Paragraph 18(1)(a) - Legal and other Professional Fees investment dealer fees incurred respecting the advisability of making hostile takeover were fully deductible under s. 9 417
Tax Topics - Income Tax Act - Section 20 - Subsection 20(1) - Paragraph 20(1)(bb) investment dealer fees re advisability of making hostile takeover were fully deductible 529
Tax Topics - Income Tax Act - Section 20 - Subsection 20(1) - Paragraph 20(1)(cc) legal fees incurred in securing regulatory approval for a hostile bid related to the bidder's business of earning income from shares and interaffiliate sales 182
Tax Topics - Income Tax Act - Section 20 - Subsection 20(1) - Paragraph 20(1)(g) takeover bid circular costs did not qualify 102
Tax Topics - Income Tax Act - Section 14 - Subsection 14(5) - Eligible Capital Expenditure fees incurred in order to acquire shares were excluded/butterfly expenses excluded as taxpayer was not in the business of implementing corporate reorganizations 365
Tax Topics - Income Tax Act - Section 169 - Subsection 169(2.1) raising general question of deductibility of fees and listing s. 20(1)(e) did not satisfy s. 165(1.11) 246
Tax Topics - Income Tax Act - Section 20 - Subsection 20(1) - Paragraph 20(1)(e) failure to advance evidence showing allocation of fees to share consideration 139
Tax Topics - Income Tax Act - Section 40 - Subsection 40(1) - Paragraph 40(1)(a) - Subparagraph 40(1)(a)(i) expenses incurred in butterfly spin-off recognized as disposition expenses 63

Gill v. The Queen, 2016 CCI 13

One of the requirements (in ETA s. 254(2)(b)) for the GST rebate for new homes is that “at the time the particular individual becomes...

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Locations of other summaries Wordcount
Tax Topics - Excise Tax Act - Section 254 - Subsection 254(2) - Paragraph 254(2)(b) primary-residence intention determined at signing of purchase contract 224
Tax Topics - Excise Tax Act - Section 254 - Subsection 254(2) - Paragraph 254(2)(g) post-acquisition occupation was "temporary and sporadic" 65

Bolduc v. The Queen, [2013] GSTC 38, 2013 TCC 77

Subparagraph 304(5)(b)(iv) of the French ETA requires that the person applying for an extension have reasonable grounds to do so. This...

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Locations of other summaries Wordcount
Tax Topics - Excise Tax Act - Section 304 - Subsection 304(5) narrower English version prevailed 98

Genex Communications inc. v. The Queen, 2010 DTC 1064 [at 2840], 2009 TCC 583, rev'd 2011 DTC 5061 [at 5707], 2010 FCA 353)

Although the French version was ambiguous, the English version of the definition of "commercial debt obligation" in s. 80(1) clearly included...

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943372 Ontario Inc. v. The Queen, 2007 DTC 1051, 2007 TCC 294

After noting that in the English version of s. 152(4.01) the "matter" in respect of which the Minister may reassess outside the normal...

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Cleveland v. The Queen, 2003 DTC 2199, 2004 TCC 34 (Informal Procedure)

S.118.5(1)(b) of the Act, which required the taxpayer to be in full-time "attendance" at a foreign university in order to qualify for the tuition...

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