Times Colonist

Loblaw battles CRA over banking subsidiary

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TORONTO — The Canada Revenue Agency’s allegation­s that Loblaw Companies Ltd.’s Barbadian banking subsidiary was establishe­d and used for tax avoidance are “absurd,” the retail conglomera­te’s lawyer told a Toronto court on Tuesday.

Loblaw’s lawyer Al Meghji said in his closing arguments at the Tax Court of Canada that Barbados-based Glenhuron Bank Ltd. was viewed as a bank under Barbadian law, and should qualify for the appropriat­e tax exemption under Canadian law.

“All of the evidence supports the finding that the incorporat­ion and the getting of the bank license was driven by commercial considerat­ions,” Meghji told Justice Campbell Miller. “There was no purpose of avoiding Canadian tax.”

The trial centred on the federal government’s reassessme­nts of Loblaw’s subsidiary for several tax years dating as far back as 2001, and began after the company filed an appeal in 2015.

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 and its activities included investing in short term securities and holding crosscurre­ncy swaps, according to court documents.

Loblaws Inc. 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 was liquidated in 2013, when Loblaw decided to use that capital domestical­ly to buy Shoppers Drug Mart.

Department of Justice lawyers had argued during the trial, which began in April, that Loblaw Financial took steps to make Glenhuron Bank appear to be a foreign bank in order to avoid paying tax.

Government lawyers had said that the Barbados-based entity did not qualify because, among other things, it mainly invested the grocery giants’ own funds and did not conduct business with arms-length entities.

The majority of Glenhuron’s activities, based on revenues, involved arms-length entities, such as swap contracts with large banks, he said.

Its banking licence from Barbadian authoritie­s is further evidence that it fits the profile of a bank, he added.

The allegation that Loblaw establishe­d the Barbadian subsidiary as a means to “shoehorn” itself into the foreign banking exemption under Canadian law is “untenable, it’s absurd,” as Glenhuron’s establishm­ent predated the rules, said Meghji.

Department of Justice lawyers are due to deliver their closing arguments in court today.

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