- AGLC
- Mount Morgan Gold Mining Company Limited v Commissioner of Income Tax (Qld) [1923] HCA 37
- Case
- [1923] HCA 37
- Decision Date
CaseChat Overview and Summary
The legal issues before the High Court were whether the sum in question constituted "income arising or accruing from a business carried on in Queensland" or "earnings derived from Queensland" under the Income Tax Acts 1902-1920 (Qld). Specifically, the court had to determine if the profits generated from the sale of gold, which was mined in Queensland but then refined in New South Wales and subsequently sold through an association operating largely outside Queensland, were taxable in Queensland. This involved considering whether the transactions of the Gold Producers' Association should be attributed to the appellant's Queensland business operations or if the profits were derived from business conducted elsewhere.
A majority of the High Court, comprising Higgins, Rich, and Starke JJ., held that the sum of £142,111 19s. 1d. was, at least in part, taxable income arising or accruing from a business carried on in Queensland. They reasoned that if the entire sum was not taxable, it should be apportioned between Queensland and other jurisdictions to determine the portion attributable to the appellant's Queensland operations. Conversely, Knox C.J. and Gavan Duffy J. dissented, finding that no part of the sum was liable to income tax, as they concluded the profits were made wholly outside Queensland and therefore not subject to tax under section 7(8) of the Acts, which limited the tax on Queensland companies carrying on business outside the state to profits made within Queensland. The decision of the Supreme Court of Queensland was reversed.
Orders
Orders of the court
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Background
Background to the litigation
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Evidence
Evidence Before The Court
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Decision
Reasons for decision
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Ratio Decidendi
Legal Principle Established
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