Thank you for correcting the text in this article. Your corrections improve Papers Past searches for everyone. See the latest corrections.

This article contains searchable text which was automatically generated and may contain errors. Join the community and correct any errors you spot to help us improve Papers Past.

Article image
Article image
Article image
Article image

SUPREME COURT.

AX INCOME. TAX CASE. By Telegraph—Press Association, Wellington, Tuesday. Au interesting special ease was before Mr. .Tu-.tice Chapman to-day, regarding the payment of income tax bi.y the Mudgway Estate and Land Company. The points .for decision were: (I) Whether a person who has heen assessed for income tax by the Commissioner of. Taxes and who has paid under protest the amount of that assessment, but has not taken proceedings by way of objection or appeal in accordance with, section 22 of the Land and Income Assessment Act, can takt proceedings in the Suprem* Court for the recovery of tho tax so paid, on the ground that "the assessment wag excessive; and (2) whether if such proceedings are allowable can they be taken against the Commissioner of Taxes? The case is proceeding.

Permanent link to this item
Hononga pūmau ki tēnei tūemi

https://paperspast.natlib.govt.nz/newspapers/TDN19111108.2.63

Bibliographic details
Ngā taipitopito pukapuka

Taranaki Daily News, Volume LIV, Issue 117, 8 November 1911, Page 8

Word count
Tapeke kupu
133

SUPREME COURT. Taranaki Daily News, Volume LIV, Issue 117, 8 November 1911, Page 8

SUPREME COURT. Taranaki Daily News, Volume LIV, Issue 117, 8 November 1911, Page 8

Help

Log in or create a Papers Past website account

Use your Papers Past website account to correct newspaper text.

By creating and using this account you agree to our terms of use.

Log in with RealMe®

If you’ve used a RealMe login somewhere else, you can use it here too. If you don’t already have a username and password, just click Log in and you can choose to create one.


Log in again to continue your work

Your session has expired.

Log in again with RealMe®


Alert