Document Type

Article

Publication Date

January 2014

Abstract

The Supreme Court of Canada released decisions in four cases in the 2012 year. We argue that each illustrates the Court's formalistic approach to interpreting tax legislation. Each of the following four cases is evaluated in turn. Canada v Craig relates to the circumstances under which a taxpayer can offset losses incurred in a farming business against income earned from a completely different source. Fundy Settlement v Canada required determining the residency of a trust for tax purposes. Canada v GlaxoSmithKline Inc. focused on the circumstances to be taken into account in determining an arm's-length price in the transfer pricing context. Finally, Calgary (City) v Canada, a goods and services tax issue, looked at whether a particular supply of good and services constituted a single supply or multiple supplies and whether a grant or subsidy was given for a public purpose or was consideration for a supply.

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