De Tarle v Chief Commissioner of State Revenue
[2021] NSWCATAD 270
At a glance
Source factsCourt
NCAT Administrative and Equal Opportunity
Decision date
2021-09-10
Source
Original judgment source is linked above.
Judgment (16 paragraphs)
Introduction
- In March 2017, the applicant purchased a property at Neutral Bay and became liable under the Duties Act 1997 ("Duties Act") to pay duty by 9 June 2017.
- The applicant did not pay the duty in full until March 2020, and by a Notice of Assessment dated 11 June 2020, the respondent assessed the applicant as liable to pay interest calculated on the duty outstanding from time to time. On 5 October 2020, the applicant lodged an objection to the Notice of Assessment and on 3 February 2021, the respondent disallowed that objection.
- The applicant seeks a review of the Tribunal of the respondent's decision to assess the applicant for interest. For the reasons set out below, that decision is remitted to the respondent for determination on the basis that interest did not commence to run until 1 July 2017.
Jurisdiction
- The Tribunal has jurisdiction to review the Notice of Assessment, pursuant to s 96 of the Taxation Administration Act 1996 ("TA Act"), s 9 of the Administrative Decisions Review Act 1997 ("ADR Act") and s 28 of the Civil and Administrative Tribunal Act 2013. It is the decision to issue the assessment, not the decision on the objection, which is the subject of the review: see Singh v Chief Commissioner of State Revenue [2016] NSWCATAD 9 at [10] - [13] and the authorities there cited.