National Post

Loblaw used Barbadian branch to dodge tax: CRA

- ArminA LigAyA

TORONTO • Loblaw Companies Ltd.’s Barbadian banking subsidiary was “playing with its own money” rather than acting as an active business with outside customers and is obligated to pay tax back home, government lawyers told a court on Wednesday.

Barbados-based Glenhuron Bank Ltd. did not meet the requiremen­ts to be considered a foreign bank under Canadian law and be exempt from paying tax to the Canada Revenue Agency, Justice Department lawyer Elizabeth Chasson said in her closing arguments at the Tax Court of Canada.

There is “absolutely nothing” connecting Glenhuron to Barbados, she told Justice Campbell Miller, and the subsidiary was establishe­d to avoid paying tax.

“It has no customers in Barbados. It’s not trying to break into the financial services business in Barbados, because it’s only earning profit for itself in a very sophistica­ted, very complicate­d system.”

The trial centred on reassessme­nts of Loblaw’s subsidiary for several tax years dating to 2001, and began after the company filed an appeal in 2015. The Minister of Finance concluded the income earned by Glenhuron was from an “investment business” and subject to income tax, according to court documents.

The reassessme­nts, which were received between 2015 and 2018, are for the 2000 to 2013 taxation years and total $437 million of taxes, interest and penalties owed, according to Loblaw’s latest quarterly financial report.

Loblaws Inc. was incorporat­ed as an internatio­nal business corporatio­n in Barbados in September 1992, changed its name to Glenhuron Bank Ltd. in November 1993 and in December 1993 it became a licensee under the Offshore Banking Act of Barbados.

(GLENHURON) HAS NO CUSTOMERS IN BARBADOS. IT’S NOT TRYING TO BREAK INTO THE FINANCIAL SERVICES BUSINESS IN BARBADOS. — ELIZABETH CHASSON

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