Evidence of meeting #18 for Finance in the 42nd Parliament, 1st Session. (The original version is on Parliament’s site, as are the minutes.) The winning word was cra.

A video is available from Parliament.

On the agenda

MPs speaking

Also speaking

Andrew Treusch  Commissioner of Revenue and Chief Executive Officer, Canada Revenue Agency
Ted Gallivan  Assistant Commissioner, International, Large Business and Investigating Branch, Canada Revenue Agency
Diane Lorenzato  Assistant Commissioner, Human Resources Branch, Canada Revenue Agency
Stéphanie Henderson  Manager, Offshore Compliance Section, Canada Revenue Agency
Lynn Lovett  Assistant Deputy Minister, Tax Law Services Portfolio, Department of Justice

12:10 p.m.

Commissioner of Revenue and Chief Executive Officer, Canada Revenue Agency

Andrew Treusch

I apologize if my response seemed that way. I'm very pleased to see the interest of the committee in issues of tax administration, and in particular in what is a genuine issue of great concern: international tax evasion and avoidance.

I am extremely proud of the employees of the Canada Revenue Agency, including everyone here. They are hard-working and dedicated officials, and the occasional commentary from some sources that seem to defame or call into question their professionalism and integrity— However, it was in no way related to your questions, which were entirely appropriate.

12:10 p.m.

Conservative

The Vice-Chair Conservative Ron Liepert

We have to stop there, Lisa.

12:10 p.m.

Conservative

Lisa Raitt Conservative Milton, ON

Thank you very much.

12:10 p.m.

Liberal

Raj Grewal Liberal Brampton East, ON

Thank you, Mr. Chair. Thank you, Commissioner, and your colleagues for coming today.

I think the heart of the issue, why constituents in my riding are particularly upset about fairness, is the perception that all Canadians are paying their fair share. There is also the second element, which in my humble opinion is a perception that the CRA treats everyone equally, that it's not just the people who can afford to hire KPMG for $100,000. It's the perception that those people are getting a better deal than the truck driver or the taxi driver who is being audited for their gas receipts and stuff like that, and they're having to spend so much time. It's not just the money and the effort, but their time as well. People are very concerned when the CRA starts reviewing their files.

An internal audit of the CRA in October 2010 said that the agency had concerns that it didn't have the resources to deal with complex cases, specifically international tax evasion. The previous government cut heavily into the CRA.

Have the previous government's cuts had an impact on the CRA being able to fulfill its mandate, specifically on international tax evasion? Please be very brief because I have a lot of questions.

12:10 p.m.

Commissioner of Revenue and Chief Executive Officer, Canada Revenue Agency

Andrew Treusch

On the first question, and I'll try to be very brief, we have increasingly taken a very different approach to small and medium-sized enterprises from large international global enterprises. Increasingly, you are seeing far fewer deployments of audits with small business. Also, you've seen that we've introduced the liaison officer initiative. Rather than approach a small-business person with an audit, we're moving our resources to come to small business with a helping hand to ask how we can help the plumber, the electrician, so they can avoid some of the mistakes they're making. We are redeploying our resources to international and large business.

I've served two governments loyally. We work with the resources governments give to us. Obviously, we have come through a period of considerable fiscal restraint, but during that period, we redeployed as best we could all the resources to be stronger and more effective in a five-year period. Also, we have been given some tools. The new budget gives us an enormous reinvestment that will be a return for the crown and will move us forward in addressing the concern that I know Canadians have, as will international efforts.

12:10 p.m.

Liberal

Raj Grewal Liberal Brampton East, ON

The CRA determination of whether tax avoidance has occurred is made on a balance of probabilities, which is a lesser threshold than beyond a reasonable doubt. In your opinion, did the taxpayer who participated in the Isle of Man tax scheme participate in tax avoidance, based on a balance of probabilities?

12:10 p.m.

Assistant Commissioner, International, Large Business and Investigating Branch, Canada Revenue Agency

Ted Gallivan

Taxpayer confidentiality prevents me from responding specifically.

12:10 p.m.

Liberal

Raj Grewal Liberal Brampton East, ON

Hypothetically, if you participated in a tax scheme like that, on a balance of probabilities, did you participate in tax avoidance? It is a simple yes or no question.

12:15 p.m.

Assistant Commissioner, International, Large Business and Investigating Branch, Canada Revenue Agency

Ted Gallivan

To me, it's not simple. First I have to state, on the advice of the Department of Justice, that I can't comment on specific taxpayer situations.

What I will say is that the CRA examines every case based on its facts. The Isle of Man situation has been applied. There could be variations in the approach by the taxpayer, and those facts may vary.

Finally, our work on this matter is far from done. There are files active before the courts in respect of tax assessments that we've levied. There's action in front of the courts with respect to obtaining additional names. Our minister announced on April 11 that we're pursuing all Canadians who have interactions with the Isle of Man to risk-assess those transactions. So our work is far from done.

12:15 p.m.

Liberal

Raj Grewal Liberal Brampton East, ON

I think we on the committee can all agree that the balance between a regulator and those whom they regulate is pretty sensitive. I'm going to refer to your code of integrity and professional conduct and quote directly from the duty of loyalty portion. It says, “Employment in the public service requires the acceptance of certain constraints, which should be considered in our day-to-day activities and our off-duty conduct”.

Now I will refer to the CBC's report on April 17, 2016, where 20 CRA officials from the compliance division were not only invited but were required to attend an after-hours reception. I was a lawyer in my previous life, and you have to attend professional settings. I understand that the people at CRA are CPAs. But the conflict of interest comes from the fact that the CPA hosted the event for CRA officials from the compliance division, individuals from KPMG, and individuals from the CPA.

Generally, that wouldn't be an issue, but the CPA applied for intervenor status on this issue between the CRA and KPMG. This puts the CRA in a direct conflict by attending a CPA and KPMG event.

12:15 p.m.

Conservative

The Vice-Chair Conservative Ron Liepert

Mr. Grewal, would you wrap it up? You're well over.

12:15 p.m.

Liberal

Raj Grewal Liberal Brampton East, ON

Do you not agree that it was a conflict of interest for the CRA to attend when CPA applied for intervenor status and KPMG officials were there?

12:15 p.m.

Commissioner of Revenue and Chief Executive Officer, Canada Revenue Agency

Andrew Treusch

In broad strokes, CRA could never leave the Connaught Building if we were worried about coming into interaction with a taxpayer or a taxpayer's representative with whom we had issues. There are 100,000 appeals a year and 5,000 litigation cases. It's our conduct, not our attendance, that matters. Section 241 continues to apply in all of these instances.

12:15 p.m.

Liberal

Raj Grewal Liberal Brampton East, ON

I see it from my perspective—

12:15 p.m.

Conservative

The Vice-Chair Conservative Ron Liepert

I have to wrap you up now.

Mr. Dusseault.

12:15 p.m.

NDP

Pierre-Luc Dusseault NDP Sherbrooke, QC

Thank you, Mr. Chair.

Coming back to the letter that was on the CBC website, Madam Henderson, can you confirm that the signature we see on the letter is your signature? If I ask you to sign a piece of paper, would that be your signature?

12:15 p.m.

Manager, Offshore Compliance Section, Canada Revenue Agency

Stéphanie Henderson

It appears to be my signature, but I can't confirm that I signed the document. I don't know the source of the document.

12:15 p.m.

NDP

Pierre-Luc Dusseault NDP Sherbrooke, QC

Mr. Treusch, I would like to ask you if you can come back to the committee to confirm that this letter was sent. I understand the legal implication of providing us with the letter, but can you come back to the committee to confirm whether this letter was sent or not?

12:15 p.m.

Commissioner of Revenue and Chief Executive Officer, Canada Revenue Agency

Andrew Treusch

I think this question has been asked and answered by me and by legal counsel. We're unable by section 241 of the Income Tax Act to enter into that kind of discussion.

12:15 p.m.

NDP

Pierre-Luc Dusseault NDP Sherbrooke, QC

I don't want you to provide the letter itself, just to tell us whether you sent that letter.

12:15 p.m.

Commissioner of Revenue and Chief Executive Officer, Canada Revenue Agency

Andrew Treusch

I sent no letter.

12:15 p.m.

NDP

Pierre-Luc Dusseault NDP Sherbrooke, QC

Why?

As parliamentarians, we want to know if you did send that letter. It will help us in our work.

12:15 p.m.

Commissioner of Revenue and Chief Executive Officer, Canada Revenue Agency

Andrew Treusch

Perhaps you mean a representative of Canada Revenue Agency rather than me, but I'll ask Ms. Lovett again to talk about the legal restrictions that bind all Revenue Agency employees.

May 5th, 2016 / 12:20 p.m.

Assistant Deputy Minister, Tax Law Services Portfolio, Department of Justice

Lynn Lovett

I spoke earlier about section 241 of the Income Tax Act. Without referring to any specifics of what may have happened or not in the KPMG litigation, I can say that anything that would have been sent in that context would also be subject to settlement privilege, and so I believe that your question is an effort to determine whether or not this specific letter was sent in that specific case, and Ms. Henderson isn't in a position to answer that question.

12:20 p.m.

NDP

Pierre-Luc Dusseault NDP Sherbrooke, QC

Thank you. Now I'll turn to something else.

I'd like to draw an analogy between the situation at hand and a bank robbery. Let's say a group of masked thieves walk into a bank and rob it. As soon as they step outside, the bank is surrounded by police officers. But the thieves are wearing masks, so they can't be identified. The police order them to put the money back and tell them that, if they do, they will only be subject to minor penalties. Then the police let them continue on their way, thank them for returning the money, and assure them that they will never be subject to prosecution since their masks made it impossible to identify them.

What is your take on my analogy between that story and the KPMG case?

We know what's going on, in this particular case.

In the application in the Federal Court, you have the name of Mr. Russell Lyon, auditor, of Victoria, British Columbia. He swore an affidavit filed with the court that reads:

As a result of the compliance audits of the Taxpayers, the CRA's position is that the Taxpayers, through the [offshore company] structures set up for them, did not cede control and influence over the assets they caused to be transferred to the offshore company.

He says, “The CRA's position is that the investment”—