BOYDED PROPRIETARY LIMITED V. THE COMMISSIONER OF TAXATION OF THE COMMONWEALTH OF AUSTRALIA
High Court of Australia
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REASONS FOR JUDGMENT
High Court, Sydney.
BOYDED PROPRIETARY LIMITED
v. COMMISSIONER OF TAXATION.
Appeals against assessment to
income tax, objection being
disallowed by Commissioner -
"Qne-brand petrol stations".
TAYLOR J.
Appeals dismissed with costs.
8th February 1957.
an
BOYDED PROPRIETARY LIMITED
Ve
THE COMMISSIONER OF TAXATION OF THE
COMMONWEALTH AUSTRALL
JUDGMENT TAYLOR J.
These appeals are brought from assessments to income
tax and additional tax (Division 7) made pursuant to the Income
Tax and Social Services Contribution Assessment Act 1936-1952.
The assessments were made in respect of income derived by the
appellant during the year ended 30th June 1953 and the appeals
raise similar questions to those 'raised in the appeals which
have just been determined - Dickenson ve The Commissioner of
Paxation.
Whilst there are some minor variations the facts in
these appeals are not materially dissimilar to those which
required consideration in Dickenson's appeals. It is true that,
in those appeals, the taxpayer was cross-examined at some length
concerning the negotiations and dealings which preceded the
execution of the relevant documents but the decision did not
depend upon that evidence or upon inferences to be drawn from it.
In any event the minutes of the meeting of the directors of the
appellant company which were tendered in evidence upon the hearing
of these appeals, establishes, for what it is worth, that the
antecedent negotiations between the Shell Company of Australia
Ltd. and the appellant company took much the same course and were
of precisely the same character. I refer to the minutes of 27th
May and hth June 1952,
I am satisfied that the reasons given in the earlier
appeals apply with equal force to these appeals and, accordingly,
I am of the opinion that they should be dismissed.