Digests

Decision Information

Decision Content

Canada v. TCG International Inc.

T-152-94

Gibson J.

22/10/96

8 pp.

Appeal from T.C.C. decision allowing appeal from confirmation of reassessment of income tax payable for 1985-Directing $400,000 in nature of "lease inducement payment" be deleted from defendant's income-Defendant receiving $400,000 cash incentive as inducement to enter lease of premises for head office purposes-Defendant entitled to do with inducement as it in its sole discretion determined-Appeal allowed-Ikea Ltd. v. The Queen (1993), 94 DTC 1112 (T.C.C.) applied-Head office activities and premises where those activities carried on equally integral to business operations of limited company as are wholesale and retail premises-Lease inducement payment income to be included in income in year of receipt-Cases finding in favour of taxpayers, where terms of lease agreements tying lease inducement payments directly to leasehold improvements to be made by tenants, distinguished-Plaintiff not bound by terms of income tax bulletins-That Income Tax Act modified shortly after transaction herein to bring such inducement payments into income not indicating that at relevant time inducement payment not income receipt.

 You are being directed to the most recent version of the statute which may not be the version considered at the time of the judgment.