OF A. expenditure on cables, postages, stationery, audit fees and travelling
and general expenses amounted to £136. The expenditure on cables related to matters arising out of the production of tin in Siam. About 1938 the International Tin Committee formed a pool of tin stocks as a cushion or buffer to control the effects of an under or over supply of tin. The pool was called the "Buffer Stock Scheme," and it was this scheme and the disposal of tin in the pool which occasioned the cables. The expenditure in travelling arose from the fact that one of the directors journeyed to meetings from another State. The last item on the expenditure side consisted in allotments to the dependants of the mine manager and the assistant mine manager who had been interned in Siam. This amount was £420. The total of these items of expenditure is £1,206, which forms the deduction claimed by Ronpibon Tin No Liability.
It is perhaps desirable to add that the work done in the manage- ment of the company covered the registration of transfers of shares, in which there was some movement, and the interviewing of the many shareholders about the prospects of the company, particularly with reference to its Siamese assets. The directors had caused some investigation to be made of possible mining enterprises in Australia. During the accounting period in question, however, only one such prospective venture was looked into and that was done by or through one of the directors who had formerly been the company's consulting engineer. He acted in his capacity of director.
The case of Tongkah Compound No Liability is of the same nature but there are differences in the precise facts. In that company there was no attempt to look for other ventures. The expenditure included no items for allotments or sustenance of the mining staff or any of their dependants. On the other hand the receipts of the company for the accounting period ending 30th September 1943 included a sum of £4,999 paid from "The Buffer Stock Scheme" as the company's share of the proceeds of realizing the stock held. The realization had taken place in the previous accounting period. The interest of the company in the Pool had stood in the balance sheet at £1,081 and the difference was taken into the profit and loss account at £3,913 (sic). In assessing the company the com- missioner appears to have treated this item as exempt income. The company derived £2,809 from government loans and fixed deposits. It expended £300 in directors' fees and £590 in meeting the manager's salary, audit fees, postages, printing, stationery and advertising. It seeks to deduct from the assessable income con- sisting of the interest the total of these two amounts, namely £890.