Federal Wharf Company Limited v Deputy Federal Commissioner of Taxation [1930] HCA 30

Federal Wharf Company Limited v Deputy Federal Commissioner of Taxation [1930] HCA 30

Interest payable under sec. 26 of the Harbors Act 1913 (S.A.) calculated for the period taxpayer was deprived of the property is, for the purposes of the Income Tax Assessment Acts, income as it recompenses for loss of the use of capital during that period.

Source-derived case information.

Parties
Appellant: Federal Wharf Company Limited; Respondent: Deputy Federal Commissioner of Taxation
Jurisdiction
Australia
Procedural Posture
Appeal / High Court Appellate Judgment
Outcome
Appeal dismissed with costs
Legal Topics
Income Tax, Compulsory Acquisition, Compensation, Interest as Income
Taxation Compulsory Acquisition Income Tax Compensation Interest as Income

Source-derived case record

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Parties

Federal Wharf Company Limited

Appellant

Deputy Federal Commissioner of Taxation

Respondent

Procedural Posture

Appeal / High Court Appellate Judgment

  1. 1 Whether interest awarded on compensation for compulsory acquisition of land under sec. 26 of the Harbors Act 1913 (S.A.) is income for the purposes of the Income Tax Assessment Acts

Ratio Decidendi

Interest payable under sec. 26 of the Harbors Act 1913 (S.A.) calculated for the period taxpayer was deprived of the property is, for the purposes of the Income Tax Assessment Acts, income as it recompenses for loss of the use of capital during that period.

Court Disposition

Appeal dismissed with costs

Orders

  • Appeal dismissed with costs