Sydney, his objection to the assessment. The grounds of objection, 1939.
SO far as material, and as amended as a result of the correspondence referred to in par. 13 hereof, were (a) that the assessment had been made contrary to the provisions of the Income Tax Assessment Act 1936, and was therefore illegal and (b) that the commissioner had illegally altered the values selected by the appellant in terms of sec. 34 (1) (b) of the Act for the valuation of his live stock on hand at 30th June 1936.
13. Correspondence with reference to the grounds of objection passed between Messrs. Ross Sampson &Co., agents for the appellant, the appellant and the Commissioner of Taxation, Sydney, the Commissioner of Taxation, SO far as concerned the assessment and notice of objection, being addressed and writing in his capacity of Commonwealth Deputy Commissioner of Taxation.
14. By letter dated 15th November 1937 the Deputy Commis sioner of Taxation, Sydney, notified the appellant of the decision upon the objection, that is, that he had partly allowed ground (a) referred to in par. 12 hereof, and had disallowed ground (b), and on that date caused to be issued to the appellant a notice of amended assessment giving effect to that decision together with an adjust- ment sheet explanatory of the alteration made in the assessment and wherein it was stated that the assessment in regard to live stock trading figures was in order.
15. By letter dated 7th December 1937 and within the period specified in sec. 187 of the Income Tax Assessment Act 1936 the appellant informed the Deputy Commissioner of Taxation, Sydney, that he was dissatisfied with the decision on the objection and requested that his objection be treated as an appeal and forwarded to the High Court, and this appeal has been duly instituted.
The following questions were reserved for the opinion of the Full Court :-
(i) Whether the appellant was entitled to adopt as the cost
prices of the natural increase (of his live stock) still on hand at the end of the income year ending 30th June 1936, other than natural increase of the said income year itself, the respective values selected by him as mentioned in par. 8 of the case stated.