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Q_id : 12    Tax Appeals Tribunal        DOF :2016

Ericsson(K) Limited


a) Whether the supply made by the appellant to TKL and EWKL
shall be treated as supply of taxable services rendered to local
parties or export of services as invoiced to EAB.
b) Whether the amount received from EAB shall be considered as a
loan or payment
in lieu of dues from TKL and EWKL and shall be considered as
taxable income.

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Country Kenya
 
Q_id : 11    Tax Appeals Tribunal        DOF :26/02/2016

Diakonie Emergency Aid Appellant


What was the relationship between the Appellant, DEA-PHC based in
South Sudan and DBG based in Somalia? Where are these institutions
registered?
2. What is a Permanent Establishment? Whether the Appellant is a
Permanent Establishment as provided for under Section 2 and 3 (2)(a)
(ii) of the Income Tax Act Cap 470 in relation to mode and manner
Judgement: Tax Appeals No. 46 of2015 Page 2
of operations between DEA Nairobi, DEA- PHC based In South
Sudan and DBG based in Somalia?

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Country Kenya
 
Q_id : 10    Tax Appeals Tribunal        DOF :2015

Delmonte Kenya Limited


i) When foreign exchange differences are realized.

ii) Whether foreign exchange losses arising on conversion of debt to
equity is-an allowable expense.

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Country Kenya
 
Q_id : 9    Tax Appeals Tribunal        DOF :2015

Co-Operazione Internazionale


The issues for determination on basis of both the oral and written submissions on record before Tribunal are whether;

i) PAYE is payable on emoluments paid to non-Italian expatriates working for the Appellant outside Kenya;

ii) Taxation is due on housing benefit in respect of Kenyan employees who are on foreign assignment.

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Country Kenya
 
Q_id : 8    Tax Appeals Tribunal        DOF :28/07/2016

Cofftea Agencies Limited


The East Africa Tea Trade Associatlon which regulates the tea industry in East Africa restricts non-resident companies and persons from purchasing tea directly from the tea auction.

As a result, the Appellant was engaged as an agent by the Principal pursuant to a letter of engagement signed on the 3rd day of January, 2011 between the two parties.

The agreement states that the Principal will bear all costs including collection, blending, transportation, shipping and port charges. Further, the agreement states
that all costs incurred by the Appellant will be reimbursed so long as the same are supported with third party invoices.

As a consequence of making taxable supplies to the Principal, the Appellant proceeded to claim input VAT relating to the same.

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Country Kenya
 
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