Tax Court of Canada Judgments

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97-3379(IT)I

BETWEEN:

GUY THERIAULT,

Appellant,

and

HER MAJESTY THE QUEEN,

Respondent.

Appeal heard on common evidence with the appeal of Beverley Theriault (97-3381(IT)I) on June 24, 1999 at Sudbury, Ontario, by

the Honourable Deputy Judge D.R. Watson

Appearances

Agent for the Appellant:                                 M.L. Decosse

Counsel for the Respondent:                         C. Benoit

JUDGMENT

          The appeal from the assessment made under the Income Tax Act for the 1995 taxation year is dismissed in accordance with the attached Reasons for Judgment.

Signed at Ottawa, Canada, this 7th day of July 1999.

"D.R. Watson"

D.J.T.C.C.


97-3381(IT)I

BETWEEN:

BEVERLEY THERIAULT,

Appellant,

and

HER MAJESTY THE QUEEN,

Respondent.

Appeal heard on common evidence with the appeal of Guy Theriault (97-3379(IT)I) on June 24, 1999 at Sudbury, Ontario, by

the Honourable Deputy Judge D.R. Watson

Appearances

Agent for the Appellant:                                 M.L. Decosse

Counsel for the Respondent:                         C. Benoit

JUDGMENT

          The appeal from the assessment made under the Income Tax Act for the 1995 taxation year is dismissed in accordance with the attached Reasons for Judgment.

Signed at Ottawa, Canada, this 7th day of July 1999.

"D.R. Watson"

D.J.T.C.C.


Date: 19990707

Docket: 97-3379(IT)I

BETWEEN:

GUY THERIAULT,

Appellant,

and

HER MAJESTY THE QUEEN,

Respondent,

AND

97-3381(IT)I

BEVERLEY THERIAULT,

Appellant,

and

HER MAJESTY THE QUEEN,

Respondent.

REASONS FOR JUDGMENT

Watson, D.J.T.C.C.

[1]      These appeals were heard in Sudbury, Ontario, on June 24, 1999 on common evidence under the Informal Procedure.

[2]      In computing their income for the 1995 taxation year, the Appellants reported a business loss in the amount of $15,259.08, divided in equal amounts of $7,629.54 each. By Notices of Reassessment dated April 2, 1997, the Minister of National Revenue (the "Minister") disallowed the said business losses.

[3]      In confirming the reassessments, the Minister made the following assumptions of fact:

"(a)        the Appellant and his spouse operated a small business known as "Pathfinders";

(b)         during the 1995 taxation year, the Appellant's spouse was a full-time employee of Zellers;

(c)         Pathfinders commenced operations in 1987;

(d)         Pathfinders provided a variety of products which cater to hunters, fishermen, hikers and outdoors men;

(e)         ninety percent of Pathfinders' sales came from the sale of maps (i.e. hiking maps, MNR maps, geological maps and fishing maps);

(f)          from 1987 to 1994, Pathfinders operated in shopping malls and/or the downtown area;

(g)         in 1994, Pathfinders moved into the Appellant's principle residence situated in a residential area;

(h)         Pathfinders is located at 463 Clinton Avenue, Sudbury, Ontario which is the residence of the Appellant and his spouse;

(i)          the business operates in 374 square feet and occupies the living room in the Appellant's residence;

(j)          the Appellant reports 50% of the business losses;

(k)         the Appellant's spouse reports 50% of the business losses;

(l)          the Appellant's calculation of business loss for the 1995 taxation year can be summarized as follows:

                                                                                                1995

            Gross income:                                                                $32,370.01

                        Cost of Goods Sold                                           19,863.72

                        Gross Profit                                                       $12,506.29


            Expenses:

                        Advertising                                533.45

                        Bank service charge                   970.60

                        Business tax, fees etc.    233.60

                        Delivery, freight                         771.10

                        Insurance                                   770.51

                        Interest                     3,419.90

                        Motor vehicle expenses      4,554.38

                        Office expenses                         42.60

                        Supplies                               3,582.11

                        Legal, accounting fees    650.00

                        Property expense                  2,332.27

                        Salaries, wages, benefits    1,560.00

                        Travel                                   1,959.77

                        Provincial sales tax                2,042.08

                        Sub-total                             23,422.37

                        Capital cost allowance        4,343.00

                        Total business expenses    27,765.37                      27,765.37

            Net business income (loss)                                             ($15,259.08)

            Appellant's reported share of business loss (50%)     ($ 7,629.54

(m)        the business had experienced losses from 1987 to 1995 as follows:

            Year                  Gross Sales                   Expenses                 Net Loss

            1987                 $21,892                        $45,496                 ( $23,406)

            1988                 24,139                        45,007                 (    20,868)

            1989                 126,896                        133,968                 (      7,072)

            1990                 209,766                        239,426                 (    29,660)

            1991                 47,876                        95,446                  ( 47,570)

            1992                 87,788                        115,646                  ( 27,858)

            1993                 83,232                        126,336                  ( 43,104)

            1994                 59,562                        155,682                  ( 96,120)

            1995                 32,370                        47,629                  ( 15,259)

          Total               $693,521                  $1,004,636                  ($311,115)

(n)         the Appellant had no reasonable expectation of profit from the business in the 1995 taxation year."

[4]      At the hearing, the agent for the Appellants admitted all the allegations except for paragraph (n) above.

[5]      The sole issue before the Court was whether the Appellants had a reasonable expectation of profit from the business for the 1995 taxation year.

[6]      The burden of proof is on the Appellants; they must establish on a balance of probabilities that the Minister's reassessments were ill-founded in fact and in law.

[7]      During the 1995 taxation year, Guy was a full-time employee of Inco Limited while Beverley was a full-time employee of Zellers. The business started up in 1987; in 1995, it operated out of their family residence in Sudbury, Ontario, selling maps and fishing equipment. The store was open from 9 a.m. to 5:30 p.m. from Monday to Friday and the two Appellants worked during their free time from their full-time employment; there was also an employee who minded the business when they were both away and who lived in the basement of their residence. The business operated at a loss from 1987 to 1995 and made a small profit in 1996 when they did not pay any rent, claim motor vehicle expenses or capital cost allowance.

[8]      The two Appellants were the only witnesses at the hearing. Guy had no previous business experience but had hunted and fished since he was 16 years old. They had not prepared a business analysis to project a viable plan for making a profit. Over the previous 5 years, the business had net losses of $29,660, $47,570, $27,858, $43,104 and $96,120; it was not surprising that it had a net loss in 1995.

[9]      A reasonable expectation of profit is an objective test and not just a fanciful dream. The objective test includes the examination of profit and loss experienced in the past years; it also examines the operational plan and background to the implementation of the operational plan including the planned course of business action; other criteria include the time spent on the activity, the background, education and experience of the taxpayer, the time required to establish the intended business, the presence or absence of ingredients leading to profits, the record of profits and losses, the cause of the losses and the flexibility of the taxpayer to make adjustments in the face of the losses.

[10]     I have reviewed the cases provided to me by counsel for the Respondent and they include Moldowan v. the Queen, 77 DTC 5213, Attorney General of Canada v. Michael Mastri and June Mastri, 97 DTC 5420, Zahid Mohammad v. the Queen, 97 DTC 5503, Charlemagne Landry v. the Queen, 94 DTC 6499 and Hugill v. Canada, [1995] F.C.J. No. 655.

[11]     Taking into consideration all the circumstances of these appeals, including the testimony of the Appellants, the admissions and the documentary evidence, in the light of the well-established case law, I am satisfied that the Appellants have failed in their onus of establishing on a balance of probabilities that during the 1995 taxation year, they had a reasonable expectation of profit in the operation of the business known as "Pathfinders".

[12]     Accordingly, the appeals are dismissed.

Signed at Ottawa, Canada, this 7th day of July 1999.

"D.R. Watson"

D.J.T.C.C.


COURT FILE NO.:                             97-3379(IT)I

STYLE OF CAUSE:                           Guy Theriault and H.M.Q.

PLACE OF HEARING:                      Sudbury, Ontario

DATE OF HEARING:                        June 24, 1999

REASONS FOR JUDGMENT BY:     the Honourable Deputy Judge D.R. Watson

DATE OF JUDGMENT:                     July 7, 1999

APPEARANCES:

Agent for the Appellant:             M.L. Decosse

Counsel for the Respondent:      C. Benoit

COUNSEL OF RECORD:

For the Appellant:

Name:                

Firm:                 

For the Respondent:                  Morris Rosenberg

                                                Deputy Attorney General of Canada

                                                          Ottawa, Canada


COURT FILE NO.:                             97-3381(IT)I

STYLE OF CAUSE:                           Beverley Theriault and H.M.Q.

PLACE OF HEARING:                      Sudbury, Ontario

DATE OF HEARING:                        June 24, 1999

REASONS FOR JUDGMENT BY:     the Honourable Deputy Judge D.R. Watson

DATE OF JUDGMENT:                     July 7, 1999

APPEARANCES:

Agent for the Appellant:             M.L. Decosse

Counsel for the Respondent:      C. Benoit

COUNSEL OF RECORD:

For the Appellant:

Name:                

Firm:                 

For the Respondent:                  Morris Rosenberg

                                                Deputy Attorney General of Canada

                                                          Ottawa, Canada

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