Federal Court authorises CRA to obtain taxpayer information directly from PayPal Canada

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Federal Court authorises CRA to obtain taxpayer information directly from PayPal Canada

intl-updates

The Canada Revenue Agency (CRA, or the minister) has broad powers to audit and assess Canadian taxpayers, which leads to a variety of disputes in the courts.

In the case of MNR v PayPal Canada, an application was made by the minister (to the Federal Court of Canada) under subsection 231.2(3) of Canada's Income Tax Act (ITA) and subsection 289(3) of the Excise Tax Act (ETA) for judicial authorisation to impose on PayPal Canada (PayPal) a requirement to provide information and documents related to certain unnamed persons. These unnamed persons were corporations and individuals that had held a business account with PayPal and that had used PayPal's online payment platform in the course of their commercial activities during the period from 2014 through to autumn 2017.

This request by the CRA for information about 'unnamed persons' was a classic 'fishing expedition'. The CRA had no particular information that it was acting on, but it argued that such information was necessary to combat tax non-compliance in the underground economy. PayPal raised concerns that there was not even a threshold amount for each transaction targeted by the requirement, and that the requirement would interfere with the privacy of PayPal's clients. Overall, PayPal argued that the authorisation sought by the minister was an overly broad interference with the privacy of PayPal's clients and was unreasonable.

The information required by the CRA from PayPal included: (a) the full name of every individual and corporation holding a business account in the relevant period that provided PayPal with a Canadian address; (b) the date of birth of each individual; (c) business names; (d) telephone numbers; (e) full addresses; (f) email addresses; and (g) social insurance numbers and/or business numbers, if available. The CRA also requested information regarding the transactions made by the accountholders.

Subsection 231.2(3) of the ITA (and the equivalent provision in the ETA) allows a judge of the Federal Court to authorise the CRA to impose a requirement to produce documents or information relating to one or more unnamed persons if the judge is satisfied by information on oath that: (a) the person or group is ascertainable; and (b) the requirement is made to verify compliance by the person or persons in the group with any duty or obligation under the ITA (or ETA, as applicable).

The court held that both of these conditions were satisfied by the minister. The persons or group of persons were ascertainable, as the unnamed persons were corporations and individuals holding a business account with PayPal that have used PayPal's online payment platform in the course of their commercial activities during the period covering the calendar years 2014 to the date of service of the unnamed persons requirement; and (b) the unnamed persons requirement was made to verify compliance by these unnamed persons with their duties and obligations under the ITA and ETA. The court did not question the breadth of information that the CRA demanded, but held that the "expectation of privacy with respect to business records is very low". The order was therefore granted and the requirement was issued.

One should expect that the CRA will continue to use requirements relating to unnamed persons as a means of identifying taxpayers who may not have complied with income and sales tax reporting obligations.

halpern-shavim.jpg
gelkopf.jpg

Zvi

Halpern-

Shavim

Allan Gelkopf

Zvi Halpern-Shavim (zvi.halpern-shavim@blakes.com) and Allan Gelkopf (allan.gelkopf@blakes.com), Toronto

Blake, Cassels & Graydon LLP

Tel: +1 416 863 2355 and +1 416 863 2634

Website: www.blakes.com

more across site & shared bottom lb ros

More from across our site

Whether it be due to a fragmented advisory market or a rise in M&A, Italy’s frenetic hiring has not gone unnoticed by ITR’s Talent Tracker
The deal gives Azets 14 new partners and boosts its Swedish revenues to over $100 million; in other news, Svalner Atlas launched in Copenhagen
The tax technology company will be providing a free demonstration of its OTP software and offering best practice advice on whether to ‘buy or build’ on September 8
Johanes Glorinus Saragih of Indonesia’s Directorate General of Taxes outlines the nation’s delicate geopolitical situation, as it sits between a rock and a hard place with the US and pillar two
The law firm’s head of tax, trade and wealth management likens tax legislation to a complex puzzle, recommends a sturdy coffee mug, and explains why acronyms make tax cool
The global tax and accounting firm has appointed two experienced TP advisers from a New Jersey-based boutique
A lack of commitment from major jurisdictions and the associated compliance burden are obstacles facing the OECD initiative
Richard Gregg is no longer fit and proper to be a tax agent, said the TPB; in other news, MHA completed its acquisition of Baker Tilly South-East Europe
Recent Indian case law emphasises the importance of economic substance over mere legal form in evaluating tax implications, say authors from Khaitan & Co
PepsiCo was represented by PwC, while the ATO was advised by MinterEllison, an Australian-headquartered law firm
Gift this article