Case information
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40276
Dow Chemical Canada ULC v. His Majesty the King
(Federal) (Civil) (By Leave)
Docket
Judgments on applications for leave to appeal are rendered by the Court, but are not necessarily unanimous.
Date | Proceeding | Filed By (if applicable) |
---|---|---|
2024-12-05 | Appeal closed | |
2024-06-28 | Formal judgment sent to the registrar of the court of appeal and all parties | |
2024-06-28 | Judgment on appeal and notice of deposit of judgment sent to all parties | |
2024-06-28 |
Judgment on the appeal rendered, Ka Côt Row Mar Kas Ja Ob, The appeal from the judgment of the Federal Court of Appeal, Number A-318-20, 2022 FCA 70, dated April 26, 2022, heard on November 9, 2023, is dismissed with costs. Karakatsanis, Côté and Rowe JJ. dissent. Dismissed, with costs |
|
2023-11-20 |
Transcript received, Joint with 40346 93 pages |
|
2023-11-09 | Judgment reserved OR rendered with reasons to follow | |
2023-11-09 |
Hearing of the appeal, 2023-11-09, Ka Côt Row Mar Kas Ja Ob Judgment reserved |
|
2023-11-06 | Respondent's condensed book, (Book Form) | His Majesty the King |
2023-11-06 | Appellant's condensed book, (Book Form) | Dow Chemical Canada ULC |
2023-10-24 | Correspondence received from, Letter to re allocated time | Dow Chemical Canada ULC |
2023-10-20 | Correspondence received from, Counsel for the Appellant request to reserved two (2) seats | Dow Chemical Canada ULC |
2023-10-17 |
Notice of appearance, Daniel Bourgeois, Christa Akey and Justine Malone will appear before the Court in person and Daniel Bourgeois will present oral argument. |
His Majesty the King |
2023-10-12 |
Notice of appearance, Mr. Daniel Sandler, Ms. Osnat Nemetz and Ms. Laura Jochimski will appear before the Court in person and Mr. Sandler will present oral argument. |
Dow Chemical Canada ULC |
2023-07-18 | Certificate (on limitations to public access), (Letter Form), 23A, (Printed version due on 2023-07-25) | His Majesty the King |
2023-07-18 | Respondent's book of authorities, (Book Form), Completed on: 2023-07-19, (Printed version filed on 2023-07-18) | His Majesty the King |
2023-07-18 | Respondent's factum, (Book Form), Completed on: 2023-07-19, (Printed version filed on 2023-07-18) | His Majesty the King |
2023-06-27 | Notice of hearing sent to parties, via email. | |
2023-06-27 |
Appeal hearing scheduled, 2023-11-09 Judgment reserved |
|
2023-06-23 | Notice of change of counsel, (Printed version due on 2023-06-30) | His Majesty the King |
2023-06-09 | Letter advising the parties of tentative hearing date and filing deadlines (Leave granted) | |
2023-05-23 | Certificate of counsel (attesting to record), (Letter Form), (Printed version filed on 2023-05-23) | Dow Chemical Canada ULC |
2023-05-23 | Appellant's book of authorities, (Book Form), Completed on: 2023-05-23, (Printed version filed on 2023-05-23) | Dow Chemical Canada ULC |
2023-05-23 | Appellant's record, (Book Form), Completed on: 2023-05-23, (Printed version filed on 2023-05-23) | Dow Chemical Canada ULC |
2023-05-23 | Appellant's factum, (Book Form), Completed on: 2023-05-23, (Printed version filed on 2023-05-23) | Dow Chemical Canada ULC |
2023-03-27 | Notice of appeal, (Letter Form), Completed on: 2023-03-31, (Printed version filed on 2023-03-27) | Dow Chemical Canada ULC |
2023-02-23 | Copy of formal judgment sent to Registrar of the Court of Appeal and all parties | |
2023-02-23 | Judgment on leave sent to the parties | |
2023-02-23 |
Judgment of the Court on the application for leave to appeal, The application for leave to appeal from the judgment of the Federal Court of Appeal, Number A-318-20, 2022 FCA 70, dated April 26, 2022, is granted with costs in the cause. Granted, with costs in the cause |
|
2023-01-16 | All materials on application for leave submitted to the Judges, for consideration by the Court | |
2022-09-06 | Applicant's reply to respondent's argument, (Book Form), Completed on: 2022-09-06, (Printed version filed on 2022-09-08) | Dow Chemical Canada ULC |
2022-08-26 | Certificate (on limitations to public access), 23A | His Majesty the King |
2022-08-26 | Respondent's response on the application for leave to appeal, (Book Form), Completed on: 2022-09-06, (Printed version due on 2022-09-02) | His Majesty the King |
2022-07-07 | Letter acknowledging receipt of a complete application for leave to appeal, FILE OPENED 2022-07-07 | |
2022-06-24 | Notice of name, (Letter Form), (Printed version filed on 2022-06-27) | Dow Chemical Canada ULC |
2022-06-24 | Certificate (on limitations to public access), (Letter Form), 23A, (Printed version filed on 2022-06-27) | Dow Chemical Canada ULC |
2022-06-24 | Application for leave to appeal, (Book Form), Completed on: 2022-06-24, (Printed version filed on 2022-06-27) | Dow Chemical Canada ULC |
Parties
Please note that in the case of closed files, the “Status” column reflects the status of the parties at the time of the proceedings. For more information about the proceedings and about the dates when the file was open, please consult the docket of the case in question.
Main parties
Name | Role | Status |
---|---|---|
Dow Chemical Canada ULC | Appellant | Active |
v.
Name | Role | Status |
---|---|---|
His Majesty the King | Respondent | Active |
Counsel
Party: Dow Chemical Canada ULC
Counsel
Osnat Nemetz
Laura Jochimski
100 Adelaide Street, West
Toronto, Ontario
M5H 0B3
Telephone: (416) 943-4434
FAX: (416) 943-2735
Email: daniel.sandler@ca.ey.com
Agent
340 Gilmour Street
Suite 100
Ottawa, Ontario
K2P 0R3
Telephone: (613) 695-8855 Ext: 102
FAX: (613) 695-8580
Email: mfmajor@supremeadvocacy.ca
Party: His Majesty the King
Counsel
Justine Malone
Christa Akey
99 rue Bank, 11e étage
Ottawa, Ontario
K1A 0H8
Telephone: (613) 899-7349
FAX: (613) 941-2293
Email: daniel.bourgeois@justice.gc.ca
Agent
Department of Justice Canada
50 O'Connor Street, Suite 500
Ottawa, Ontario
K1A 0H8
Telephone: (613) 670-6290
FAX: (613) 954-1920
Email: christopher.rupar@justice.gc.ca
Summary
Keywords
Courts —Jurisdiction — Income tax — Whether review of exercise of Minister’s power under subsection 247(10) of Income Tax Act is within Tax Court’s exclusive original jurisdiction
Summary
Case summaries are prepared by the Office of the Registrar of the Supreme Court of Canada (Law Branch). Please note that summaries are not provided to the Judges of the Court. They are placed on the Court file and website for information purposes only.
A corporate taxpayer requested that the Minister of National Revenue exercise her discretionary power under s. 247(10) of the Income Tax Act, R.S.C. 1985, c. 1 (5th Supp.) (“ITA”) to adjust the value of a non-arm’s length transaction downward, which would, in turn, reduce the amount of the taxpayer’s assessment. The Minister declined to do so. The taxpayer wished to challenge the Minister’s decision, but it was unclear whether the Tax Court or Federal Court had jurisdiction to do so. The parties put a stated question to the Tax Court to determine the jurisdictional issue: Where the Minister of National Revenue has exercised her discretion pursuant to s. 247(10) of the ITA to deny a taxpayer’s request for a downward transfer pricing adjustment, is that a decision falling outside the exclusive original jurisdiction granted to the Tax Court of Canada under s. 12 of the Tax Court of Canada Act, R.S.C. 1985, c. T-2 and s. 171 of the ITA?
The Tax Court judge determined that the Tax Court had exclusive jurisdiction to review the Minister’s decision. She held that the decision directly affected the computation of income, and was therefore part of the assessment. Appeals of assessments are within the Tax Court’s jurisdiction.
The Federal Court of Appeal reached the opposite conclusion and allowed the Crown’s appeal. The decision is part of the process of the assessment, and the Tax Court only has the power to hear appeals of the product of that process. Furthermore, correcting an error in the Minister’s decision requires a power to quash or issue an order of mandamus, and the Tax Court does not have those powers.
Lower court rulings
Stated question answered in the negative and in favour of the taxpayer; Tax Court has exclusive jurisdiction to review.
Crown appeal allowed. Federal Court has exclusive jurisdiction to review.
Memorandums of argument on application for leave to appeal
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If you have questions about a memorandum of argument or want to use a memorandum of argument, please contact the author of the memorandum of argument directly. Their name appears at the end of the memorandum of argument. The contact information for counsel is found in the “Counsel” tab of this page.
Downloadable PDFs
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Related links
Factums on appeal
The factums of the appellant, the respondent and the intervener will be posted here at least 2 weeks before the hearing unless they contain personal information, information that is subject to a publication ban, or any other information that is not part of the public record. You may also obtain copies of factums by filling out the Request for Court records form or by contacting the Court’s Records Centre either by email at records-dossiers@scc-csc.ca or by telephone at 613‑996‑7933 or at 1‑888‑551‑1185.
If you have questions about a factum or want permission to use a factum, please contact the author of the factum directly. Their contact information appears on the first page of each factum.
Downloadable PDFs
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