PART 5 - COLLECTION AND RECOVERY
Division 2 - Due date for payment
SECTION 68 (Repealed by 101 of 2006)
UNPAID TAX
68(1)
[General interest charge]
If any of the tax which a person is liable to pay remains unpaid after the time by which the tax is due to be paid, the person is liable to pay the general interest charge on the unpaid amount for each day in the period that:
(a)
started at the beginning of the day by which the tax was due to be paid; and
(b)
finishes at the end of the last day on which, at the end of the day, any of the following remains unpaid:
(i) the tax;
(ii) general interest charge on any of the tax.
Note:
The general interest charge is worked out under Division 1 of Part IIA of the Taxation Administration Act 1953.
History
S 68(1) substituted by No 11 of 1999, s 3, Sch 1 item 301, effective 1 July 1999. S 68(1) formerly read:
If tax payable by a person remains unpaid after the usual due date, the person is liable to pay a penalty at the rate of 16% per year on the unpaid amount. The penalty is calculated from the usual due date, or from a later date determined by the Commissioner if the Commissioner has granted an extension, or permitted payment by instalments, under section 66.
S 68(1) amended by No 191 of 1992, s 33, effective 1 October 1992, by substituting 16% for 20%.
68(2)
[``tax'']
In this section:
``tax''
includes penalty under Part 9.
History
S 68(2) substituted by No 11 of 1999, s 3, Sch 1 item 301, effective 1 July 1999. S 68(2) formerly read:
The fact that a judgment is entered or given in a court for the payment
of tax, or of a composite amount that includes tax, does not of itself cause
the tax to stop being unpaid for the purposes of subsection (1).
68(3)
(Repealed by No 11 of 1999)
History
S 68(3) repealed by No 11 of 1999, s 3, Sch 1 item 301, effective 1 July 1999. S 68(3) formerly read:
If the judgment debt bears interest, the penalty payable under subsection (1) is reduced by the following amount:
Interest on Tax component of judgment debt
judgment debt x -------------------------------
Judgment debt
68(4)
(Repealed by No 11 of 1999)
History
S 68(4) repealed by No 11 of 1999, s 3, Sch 1 item 301, effective 1 July 1999. S 68(4) formerly read:
The Commissioner may remit some or all of the penalty in any of the following cases:
(a)
the Commissioner is satisfied that the person did not contribute to the delay in payment and has taken reasonable steps to mitigate the causes of the delay;
(b)
the Commissioner is satisfied that:
(i) the person contributed to the delay but has taken reasonable steps to mitigate the causes of the delay; and
(ii) having regard to the nature of the things that caused the delay, it would be fair and reasonable to remit some or all of the penalty;
(c)
the Commissioner is satisfied that there are special circumstances that make it reasonable to remit some or all of the penalty.
68(5)
(Repealed by No 11 of 1999)
History
S 68(5) repealed by No 11 of 1999, s 3, Sch 1 item 301, effective 1 July 1999. S 68(5) formerly read:
In this section:
``tax''
includes penalty under Part 9;
``usual due date''
means the date on which tax becomes due for payment, ignoring any
extension of time granted under section 66.