A. that that is its intention. Sub-sec. 1 is, I think, expressed in terms
wide enough to cover a variety of cases; to cover, for example, the death of the taxpayer after the commencement of the financial year as well as before, after making a return as well as before, after assessment as well as before, that is, after assessment but not payment, and probably after assessment on a part only of the income and payment of tax on that part. It is for that reason that it refers to remedies and is expressed in such general terms.
The later sub-sec. 3A relates only to a particular case, and it uses language which limits that case to a liability incurred by a deceased himself in his lifetime. But it does not restrict the generality of sub-sec. 1.
In my opinion sec. 62 does impose upon the executors the liability to income tax for the financial year beginning 1st July 1934 based upon the income derived by the deceased during the calendar year 1933. Sec. 64 (4) refers, I think, to two alternative cases and does not, as was suggested, give an exemption in both cumulatively SO as to exempt the income of a deceased taxpayer who made returns for a substituted accounting period from the end of that period or 30th June, whichever was the earlier.
The question in the case stated should be answered: Yes, in respect of the income derived by him during the calendar year 1933.
McTIERNAN J. I agree that the question in the case should be answered: Yes. Sec. 62 of the Income Tax Assessment Act 1922- 1934 does, upon its true construction, impose a liability to tax on the personal representative of a deceased person in respect of income derived by the deceased which had not been taxed in his lifetime.
I have nothing to add to the reasons which have been given for this conclusion.
Question answered: Yes, in respect of the income
derived by the said deceased during the year ending 31st December 1933. Appellants to pay costs of case. Matter remitted to Starke J. for determination of the appeal. Solicitors for the appellants, Aitken, Walker &Strachan. Solicitor for the respondent, W. H. Sharwood, Crown Solicitor for the Commonwealth.