ESTATE OF FRANK HILLYER KING AND ORS V COMMISSIONER OF INLAND REVENUE CA CA278/05

ESTATE OF FRANK HILLYER KING AND ORS V COMMISSIONER OF INLAND REVENUE CA CA278/05

The Court of Appeal restored the TRA's decision: on the facts and after detailed analysis the Kings' portfolio activity was investment, not a business under s65(2)(a) nor dealing in shares under the first limb of s65(2)(e); the second limb (acquisition for purpose of resale) was not established and required...

Source-derived case information.

Citation
openlaw-f48e65e1_2fd7_437e_8596_83e7abc245a5.pdf
Parties
Appellant: Estate of Frank Hillyer King; Appellant: Brenda King; Appellant: Ann King; Respondent: Commissioner of Inland Revenue
Court
Court of Appeal
Jurisdiction
New Zealand
Judgment Date
31 October 2007
Procedural Posture
Appeals From High Court and Taxation Review Authority Decisions (tax Assessment, Judicial Review, Recall) / Court of Appeal Judgment (consolidated Appeals Ca100/06, Ca94/06, Ca155/06)
Outcome
Appeal CA100/06 allowed (objections allowed and TRA orders reinstated); appeals CA94/06 (judicial review) and CA155/06 (recall) dismissed; earlier appeals CA278/05 and CA279/05 dismissed for want of jurisdiction.
Legal Topics
Income Tax Assessments, Share Dealing Vs Investment, Controlled Foreign Company Attribution, Bare Trustee Status, Subjective Purpose of Acquisition, Jurisdiction and Procedural Validity
Tax Law Trusts Agency Law Administrative Law Civil Procedure Income Tax Assessments Share Dealing Vs Investment Controlled Foreign Company Attribution +3 more

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Parties

Estate of Frank Hillyer King

Appellant

Brenda King

Appellant

Ann King

Appellant

Commissioner of Inland Revenue

Respondent

Procedural Posture

Appeals From High Court and Taxation Review Authority Decisions (tax Assessment, Judicial Review, Recall) / Court of Appeal Judgment (consolidated Appeals Ca100/06, Ca94/06, Ca155/06)

  1. 1 Whether the Kings were carrying on a business under s 65(2)(a) Income Tax Act 1976
  2. 2 Whether the Kings were dealing in shares under the first limb of s 65(2)(e)
  3. 3 Whether shares were acquired for the purpose of sale under the second limb of s 65(2)(e) (subjective test)

Ratio Decidendi

The Court of Appeal restored the TRA's decision: on the facts and after detailed analysis the Kings' portfolio activity was investment, not a business under s65(2)(a) nor dealing in shares under the first limb of s65(2)(e); the second limb (acquisition for purpose of resale) was not established and required individual transaction findings which were not made; AMCE was correctly held to be a bare trustee so beneficial ownership resided with the Kings; the reassessments citing the 1994 Act were not nullities because s YB 5(4) applies; accordingly the TRA orders were reinstated and the Commissioner failed on the objection appeal.

Court Disposition

Appeal CA100/06 allowed (objections allowed and TRA orders reinstated); appeals CA94/06 (judicial review) and CA155/06 (recall) dismissed; earlier appeals CA278/05 and CA279/05 dismissed for want of jurisdiction.

Orders

  • Orders of the Taxation Review Authority in Case W44 (2004) 21 NZTC 11,405 reinstated
  • Appeals CA94/06 and CA155/06 dismissed