Not much is written about Québec legal developments in English, at least by bloggers. Québec Court of Appeal Justice Allan Hilton once lamented that it is a pity that most jurists outside Québec have not yet acquired the reflex to routinely consider judgments from Québec courts, unless they are translated. These pages hopefully will make a modest contribution for those interested in legal current events and Québec jurisprudence. On this note please bear in mind the Italian adage ‘traduttore, traditore’ – literally meaning ‘translator, traitor.’

I am a law and business journalist. I write for Canadian Lawyer, the National, a magazine published by the Canadian Bar Association, and The Lawyers Weekly, an independent legal Canadian publication. This blog is in no way affiliated with any of these publications.


5 thoughts on “About

  1. Mr. Millàn,
    Merci beaucoup and thanks so much, for creating this outlet for the Anglophone community, and those interested in the system of justice in Québec.
    I’m an American lawyer (NY), newly minted as an attorney here in Québec, and residing in Québec City. Like yourself, I recognize a dearth in the availability of legal information to the Anglophone community.

    Shannon case:
    I’ve had the honor of meeting Me Charles Veilleux and on several occasions have attended the court proceedings over the past three weeks. The defense is comprised of a team of attorneys representing munitions giants General Dynamics Ordinance and Tactical Systems Canada, Inc., as well as the Attorney General of Canada; defending the Canadian Department of National Defense. The sum of defense attorneys present is far from two-fold that of the plaintiff.

    The publicity surrounding the audit of Mr. Veilleux` personal income taxes comes at a crucial time in the case as, after several delays, the beginning of the testimony of a multitude of expert witnesses was finally under way. The Canada Revenue Agency has denied Mr. Veilleux` request for the delay of his tax audit, which reportedly is sought for the years 2007-2009; a strikingly recent period, and one for which Mr. Veilleux was embroiled in attempts to finance his plaintiff’s team.

    Putting suspicion and claims of obstruction of justice aside, I contend that it’s indeed the duty of the Attorney General to request a postponement of the audit from his colleagues at the Agency of Revenue, until such time as the Shannon case has been fully heard. Failure of this duty would leave litigators of all actions against, or inconvenient to any Federal (or Provincial) agency, unfairly vulnerable to well-timed tax audits and other forms of menace and possible abuse. An excerpt of the role of the Attorney General (link below):
    “The Attorney General’s litigation duties are regarded as a constitutional responsibility which include protection of the public interest and public rights in the country.”


  2. Best blog I have seen with news I haven’t seen and I love the cartoons. Hopefully posting some of the plain-language ones where I work will improve writing here too!

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