S 14ZZK substituted by No 38 of 2024, s 3 and Sch 1 item 50, effective 14 October 2024. S 14ZZK formerly read:
SECTION 14ZZK GROUNDS OF OBJECTION AND BURDEN OF PROOF
14ZZK
On an application for review of a reviewable objection decision:
(a)
the applicant is, unless the Tribunal orders otherwise, limited to the grounds stated in the taxation objection to which the decision relates; and
(b)
the applicant has the burden of proving:
(i)
if the taxation decision concerned is an assessment
-
that the assessment is excessive or otherwise incorrect and what the assessment should have been; or
(ii)
in any other case
-
that the taxation decision concerned should not have been made or should have been made differently.
S 14ZZK amended by No 88 of 2013, s 3 and Sch 5 item 25, by substituting para (b), applicable to an assessment if:
(a) the assessment is made on or after 1 July 2013; and
(b) in the case of an assessment that relates to an income year or other accounting period:
(i) the income year is the 2013-14 income year or a later income year; or
(ii) the other accounting period commences on or after 1 July 2013.
Para (b) formerly read:
(b)
the applicant has the burden of proving that:
(i)
if the taxation decision concerned is an assessment (other than a franking assessment or a starting base assessment)
-
the assessment is excessive; or
(ii)
if the taxation decision concerned is a franking assessment or a starting base assessment
-
the assessment is incorrect; or
(iii)
in any other case
-
the taxation decision concerned should not have been made or should have been made differently.
S 14ZZK amended by No 88 of 2013, s 3 and Sch 7 item 171, by inserting
"
or a starting base assessment
"
after
"
franking assessment
"
in paras (b)(i) and (ii), effective 1 July 2012.
S 14ZZK amended by No 34 of 1997 and inserted by No 216 of 1991.