8 Apr 2009
WESTPAC BANKING CORP V COMMISSIONER OF INLAND REVENUE SC 22/2009
- Citation
- SC 22/2009
- Court
- Supreme Court
The application for leave to appeal is dismissed because it was not reasonably arguable that the Court of Appeal's approach to limiting judicial review of tax assessments was wrong and the pleaded facts did not show that the assessments were not genuine or were made in abuse of power.