Q_id : 22 Tax Appeals Tribunal        DOF :2016 | |
Kenindia Assurance Company LimitedThe issue for determination on the basis of both the oral and written submissions on record before the Tribunal is whether the taxation of the capitalized funds amounted to double taxation and offended the provisions of Article 47 of the Constitution of Kenya, 2010 as regards the Appellant's entitlement to a fair, legal and reasonable administrative action on the part of the Respondent. ..Read more | |
Country Kenya | |
Q_id : 21 Tax Appeals Tribunal        DOF :08/07/1905 | |
Kapu (K) Limiteda. Who is charged with the responsibility to demand and recover tax b. Whether there were deposits for the period 2003 to 2008 which were not declared on the Sales by the Appellant and if so how much and who were the recipients of the deposits; c. Whether the Appellant was involved in concealing of income for purposes of tax avoidance; d. Whether there were any variances in the Appellant's monthly summaries and sales reported on VAT 3 returns; e. What was the assessed tax liability and amount demanded; f. Whether there was multiple accounting of sales; case. Judgement Appeal No.152 of 2015 Page 6 g. What is the correct gross profit margin? h. Whether the Appellant has settled the undisputed outstanding ..Read more | |
Country Kenya | |
Q_id : 20 Tax Appeals Tribunal        DOF :08/07/1905 | |
Kal Africa LimitedIn pursuant to Section 2 of the VAT Act, 2013 a zero-rated supply is defined to mean a supply listed in the Second Schedule to the Act and the institutions which enjoy supply of goods and services that are zero-rated are listed under Part B of the said Second Schedule to the Act. It is not in dispute that the British Army Training Unit in Kenya (BATUK) is not one of the institutions listed as to enjoy zero rated supply under the Part B of the Second Schedule to the VAT Act, 2013. ..Read more | |
Country Kenya | |
Q_id : 19 Tax Appeals Tribunal        DOF :08/07/1905 | |
Jimmy Mutu Ku Kiambai) For what period do the Tax Assessments the subject matter of Appeal relate to and whether the Appellant had under declared various incomes? Ruling Tax Appeals Tribunal No.183 of 2015 Page 13 ii) Whether the parties have addressed the Tribunal on the period 2007 to 2009? If not is the Tribunal capable of making a determination on the entire period? If not what are the consequences? ..Read more | |
Country Kenya | |
Q_id : 18 Tax Appeals Tribunal        DOF :08/07/1905 | |
Inchcape Shipping Services (K) L1miteda) Whether the Bill of Lading and Delivery Order charges form part of the customs value and hence collectible by the Commissioner of Customs & Excise? b) Whether the Value Added Tax payable on the Bill of Lading and Delivery Order charges ought to be collected from the importers and not the Appellant? ..Read more | |
Country Kenya | |