涉及亏损年的所得税纠纷:陷阱、缺陷和可能的改革

Michael H. Lubetsky
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引用次数: 0

摘要

由于两个长期存在的原则,涉及损失的税务纠纷可能很难解决,这两个原则通常被称为“零评估规则”和“新圣詹姆斯原则”。零评估规则禁止纳税人反对导致不应纳税的评估——包括亏损年度和盈利年度,收入完全被结转抵消。从本质上讲,新圣詹姆斯原则规定,亏损年度或无纳税年度永远不会受到法律的限制。由于零评估规则和新圣詹姆斯原则可能妨碍及时解决关于税收损失余额的争议,议会于1977年修订了《所得税法》,以便允许在某些情况下,由国家税收部长发出确定某一纳税年度损失的通知。nol一旦发出,可以以与评估基本相同的方式提出反对或上诉,并且在任何反对或上诉的情况下,对部长和纳税人具有约束力。然而,解决损失纠纷的平行但不同的制度的存在留下了空白,给纳税人带来了一系列程序陷阱。陷入这些陷阱的纳税人可能最终失去对有争议的收入调整提出反对或上诉的权利,重新提起法律禁止的问题,或者被要求支付已到期的税收债务的欠款利息。本文探讨了其中的一些陷阱,展示了它们是如何产生的,以及纳税人可以做些什么来避免落入陷阱。它还讨论了是否已经到了改革零分摊规则和/或新圣詹姆斯原则的时候,以便加拿大税务法院更容易解决涉及损失的争端,并提出了几项可能的改革。
本文章由计算机程序翻译,如有差异,请以英文原文为准。
Income Tax Disputes Involving Loss Years: Pitfalls, Foibles, and Possible Reforms
Tax disputes involving losses can be challenging to resolve owing to two longstanding principles, commonly known as "the nil assessment rule" and "the New St James principle." The nil assessment rule bars taxpayers from objecting to assessments that result in no tax being payable--including both loss years and profitable years where income is completely offset by carryovers. The New St James principle provides, essentially, that loss years or years with no tax payable never become statute-barred. Because the nil assessment rule and the New St James principle can prevent the resolution of disputes over tax loss balances in a timely manner, Parliament amended the Income Tax Act in 1977 so as to allow, in certain situations, for the issuance by the minister of national revenue of a notice of determination of losses (NODL) for a given taxation year. Once issued, a NODL can be objected to or appealed in basically the same manner as an assessment and, subject to any objection or appeal, becomes binding upon the minister and the taxpayer. However, the existence of a parallel but distinct system for resolving loss disputes leaves gaps that result in a range of procedural traps for taxpayers. Taxpayers caught in these traps can potentially end up losing their rights to object to or appeal disputed income adjustments, reviving statute-barred issues, or being required to pay arrears interest on extinguished tax debts. This article explores some of these traps, showing how they arise and what a taxpayer might do to avoid being caught by them. It also discusses whether the time has come to reform the nil assessment rule and/or the New St James principle so as to allow disputes involving losses to be resolved more readily by the Tax Court of Canada, and proposes several possible reforms.
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