Evidence of meeting #85 for Finance in the 39th Parliament, 1st Session. (The original version is on Parliament’s site, as are the minutes.) The winning word was barbados.

A recording is available from Parliament.

On the agenda

MPs speaking

Also speaking

Sheila Fraser  Auditor General of Canada, Office of the Auditor General of Canada
Vicki Plant  Principal Director, Office of the Auditor General of Canada
John Rossetti  Assistant Auditor General, Office of the Auditor General of Canada

12:15 p.m.

Bloc

Paul Crête Bloc Montmagny—L'Islet—Kamouraska—Rivière-du-Loup, QC

Did you specifically look into finances and revenues or did you carry out a more in-depth assessment of international tax matters?

12:15 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

No, the audit focused on quality management throughout the department, as well as on cost-recovery measures and so forth. We did not target any particular division.

12:15 p.m.

Bloc

Paul Crête Bloc Montmagny—L'Islet—Kamouraska—Rivière-du-Loup, QC

Thank you.

12:15 p.m.

Conservative

The Chair Conservative Brian Pallister

Thank you very much.

Ms. Wasylycia-Leis, you have the floor.

12:15 p.m.

NDP

Judy Wasylycia-Leis NDP Winnipeg North, MB

Thank you, Mr. Chairperson.

My question is on a related but separate issue. The minister stated on Monday that any savings from double-dipping would go directly against reductions in corporate tax. Is that a normal standard practice within government? Is that acceptable accounting practice?

12:15 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

It's really a question of policy, and we cannot comment on policy.

12:15 p.m.

NDP

Judy Wasylycia-Leis NDP Winnipeg North, MB

On another policy matter, could you comment at all on the wisdom of our moving to a worldwide income tax system, in terms of Canadian corporations? Would that at all ease the difficulties of collecting tax and dealing with tax havens?

12:15 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

Again, that is a question of policy.

12:15 p.m.

NDP

Judy Wasylycia-Leis NDP Winnipeg North, MB

On the issue of tax havens, do we have a limit in this country? Does the Canada Revenue Agency have a limit in terms of time and when they can investigate? The IRS does in the States; they have a three-year limit.

12:15 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

I think it's four years from the date of an assessment of a return, but if there is a suspicion of fraud, they can go back much further than that.

12:15 p.m.

NDP

Judy Wasylycia-Leis NDP Winnipeg North, MB

I'm referring now to an article that appeared recently from the United States:

...the Government Accountability Office found that IRS agents are so hobbled by “dilatory tactics” by offshore taxpayers and other problems that it takes almost two and a half years to complete a typical audit.

Therefore, they could never meet the deadline. Do we have any such similar problems here in Canada?

12:15 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

What usually happens is that when the Canada Revenue Agency goes in to do an audit, they will ask the entity being audited to sign a waiver on the limit, so that they are not then bound by that four-year rule.

12:15 p.m.

NDP

Judy Wasylycia-Leis NDP Winnipeg North, MB

My last question has to do with the Barbados tax haven situation.

A number of years ago the former government was actually able to shut down a significant number of so-called tax havens—I think there were 11, if I'm not mistaken—but left Barbados and a few others. There's a debate that goes on about whether or not we need to renegotiate the tax treaty with Barbados, or do what governments have done in the past. Is there a downside to simply shutting down, if the government were to have the will to shut down Barbados as a tax haven?

12:15 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

We really can't respond to that. Again, it is really a question of policy. There would be much broader implications, and we haven't looked at anything like that.

12:15 p.m.

Conservative

The Chair Conservative Brian Pallister

Thank you very much.

Mr. Pacetti, you have the floor.

12:15 p.m.

Liberal

Massimo Pacetti Liberal Saint-Léonard—Saint-Michel, QC

If I can pick up where I left off and ask your advice, should the committee recommend that Finance do an analysis or give us an analysis of that exempted surplus--the money that's being repatriated to Canada for which we're giving a dividend tax credit? It doesn't make sense that there's no number out there.

12:15 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

The government should be able to give you the amount of revenue coming back into Canada because they should be able to get that from the database at the Canada Revenue Agency. That's where we were able to get it.

Information on the dividends flowing out may not be as easy to get. I'm not sure they would be able to get that, but certainly the first number they should be able to provide.

12:15 p.m.

Liberal

Massimo Pacetti Liberal Saint-Léonard—Saint-Michel, QC

They're taxing dividends coming from private corporations and public corporations at different rates, so I don't see why we couldn't do it for companies that receive dividends through tax havens or an agreement with Barbados. I don't see what the difference would be.

I have two quick questions, and one is on double-dipping. I understand CRA had a problem where they lost a case before the tax court. I'm not sure if it was the appeal division or what it was. But my understanding is that if you're deducting the same expense twice, it's not legal. It shouldn't be allowed.

I don't think anything the government does in the next little while about trying to deny double-dipping is going to change. It's a matter of trying to enforce it or actually catch the double-dippers. So I don't see how it's going to be any different one year, five years, or ten years from now, because it's not legal to deduct interest twice. Am I correct in saying that?

12:20 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

The issue is that it's deducted by two different entities; the Canadian company isn't deducting it twice. It's set up--as was presented earlier by the chair--through a corporate structure so you get the same deduction twice.

12:20 p.m.

Liberal

Massimo Pacetti Liberal Saint-Léonard—Saint-Michel, QC

But if CRA is able to prove that the deduction is coming twice, it's not legal and shouldn't be allowed anyway. That's the difficulty in proving there's a double-dip there.

12:20 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

I think it's a little more complex than that.

12:20 p.m.

Liberal

Massimo Pacetti Liberal Saint-Léonard—Saint-Michel, QC

Absolutely.

12:20 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

It's not that it's illegal; it's the way it's structured in order to get that deduction twice.

12:20 p.m.

Liberal

Massimo Pacetti Liberal Saint-Léonard—Saint-Michel, QC

So how can legislation be drafted to avoid double-dipping?

12:20 p.m.

Auditor General of Canada, Office of the Auditor General of Canada

Sheila Fraser

You'll have to ask Finance.