National Post (National Edition)

Court dismisses tax deal challenge

Pact allows informatio­n shared with U.S.

- JIM BRONSKILL

OTTAWA • A Canada-U.S. deal allowing Canadian financial institutio­ns to send customer informatio­n to U.S. authoritie­s to help find tax cheats does not violate the Charter of Rights and Freedoms, a judge has ruled.

Federal Court of Canada Justice Anne Mactavish dismissed an appeal from two American citizens, Gwendolyn Louise Deegan and Kazia Highton, who now live in Canada and have no real ongoing connection with the United States.

The U.S. Foreign Account Tax Compliance Act, or FATCA, requires banks and other institutio­ns in countries outside the U.S. to report informatio­n about accounts held by U.S. individual­s, including Canadians with dual citizenshi­p. Deegan and Highton challenged the constituti­onality of Canadian provisions implementi­ng a 2014 agreement between the countries that makes the informatio­n-sharing possible.

They argued the provisions breach charter guarantees that prevent unreasonab­le seizure and ensure the equality of people under law.

Mactavish concluded in her decision released Monday that although the provisions do result in the seizure of the banking informatio­n of Americans in Canada, the affected people have only “a limited expectatio­n of privacy” in their data.

She also ruled that the provisions do not violate the charter guarantee that every person is equal under the law without discrimina­tion based on national origin.

Under the tax arrangemen­ts, Canadian financial institutio­ns are legally required to provide the Canada Revenue Agency with data concerning accounts belonging to customers whose informatio­n suggests they might have American citizenshi­p. The revenue agency then hands the informatio­n to the U.S. Internal Revenue Service.

Nearly all countries levy income taxes based on residency, while the U.S. system is based on citizenshi­p.

The U.S. considers all American citizens to be permanent tax residents in the United States for federal income-tax purposes, taxing the worldwide income of “specified U.S. persons” regardless of whether they live, work, or earn income.

“The result of this is that every Canadian resident who is an American citizen is subject to U.S. federal taxation on all of their income from all sources, wherever that income may be derived, even if he or she is also a Canadian citizen,” Mactavish says in her decision.

“Canada clearly found itself in an extremely difficult position as a result of the enactment of FATCA by the American government.”

U.S. law requires extensive financial and asset reporting, with the threat of significan­t penalties for failure to meet the obligation­s.

However, Mac ta vi sh notes, the U.S. government estimates fewer than 10 per cent of all people who file American tax returns from outside the U.S. ultimately owe any taxes to Washington. In addition, a tax treaty between Canada and the U.S. allows residents of Canada to receive credit for some taxes paid to the federal and provincial government­s that would otherwise have been owed to the U.S.

Deegan and Highton unsuccessf­ully argued the provisions require Canadian banks to transfer the informatio­n of potentiall­y hundreds of thousands of people annually to the federal revenue agency in Ottawa without judicial authorizat­ion or any state oversight.

They said this amounts to “a massive fishing expedition and a seizure that offends every core precept of the citizenry’s right to a reasonable expectatio­n of privacy.”

Mactavish pointed out that the Supreme Court of Canada has found that taxpayers’ privacy interest in records that may be relevant to the filing of income-tax returns is “relatively low.”

The method used to collect this informatio­n is “minimally intrusive” and the data shared with the U.S. revenue service is afforded protection under the tax treaty between the two countries, she added.

 ?? GETTY IMAGES / ISTOCKPHOT­O ?? A 2014 Canada-U.S. tax pact is legal, a judge has ruled.
GETTY IMAGES / ISTOCKPHOT­O A 2014 Canada-U.S. tax pact is legal, a judge has ruled.

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