AMALTAL FISHING CO LTD V IRD HC WN CIV 2007-485-643

AMALTAL FISHING CO LTD V IRD HC WN CIV 2007-485-643

The failures to forward the Notices and the mistaken belief about the challenge period were within the control of the taxpayer or its employee and did not amount to events beyond the disputant's control or reasonably justify late filing under s138D; accordingly the Authority was correct to refuse leave and the...

Source-derived case information.

Citation
openlaw-426fab0e_3f23_49b0_9ba9_e34def8864d0.pdf
Parties
Appellant: Amaltal Fishing Company Limited; Respondent: Commissioner of Inland Revenue
Court
High Court
Jurisdiction
New Zealand
Judgment Date
31 August 2007
Procedural Posture
Taxation Appeal / High Court Appeal From Taxation Review Authority Refusing Leave to File Challenge Out of Time
Outcome
appeal dismissed
Legal Topics
Late Filing, Exceptional Circumstances Under S138 D, Agent/employee Omissions, Statutory Interpretation
Tax Law Administrative Law Civil Procedure Late Filing Exceptional Circumstances Under S138 D Agent/employee Omissions Statutory Interpretation

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Parties

Amaltal Fishing Company Limited

Appellant

Commissioner of Inland Revenue

Respondent

Procedural Posture

Taxation Appeal / High Court Appeal From Taxation Review Authority Refusing Leave to File Challenge Out of Time

  1. 1 Whether exceptional circumstances under s138D existed to permit filing a challenge after the response period
  2. 2 Whether acts or omissions of an agent/employee can amount to exceptional circumstances
  3. 3 Whether the taxpayer reasonably justified reliance on prior correspondence and the wording of Notices

Ratio Decidendi

The failures to forward the Notices and the mistaken belief about the challenge period were within the control of the taxpayer or its employee and did not amount to events beyond the disputant's control or reasonably justify late filing under s138D; accordingly the Authority was correct to refuse leave and the appeal is dismissed.

Court Disposition

appeal dismissed

Orders

  • Appeal dismissed
  • Respondent entitled to costs on 2B scale plus reasonable disbursements to be fixed by the Registrar