[Note : The latest position of unsettled appeals is
shown in either (a) Table of Appeals to Court of First Instance or (b)
Table of Appeals to Court of Appeal/Court of Final Appeal. When the
final outcome of an appeal is known, the position is set out in either
table and will disappear in the next issue of Board of Review
Decisions.]
|
Decision
No
|
|
PENALTY TAX -
|
|
incorrect salaries tax returns for two successive years - incorrectness caused by a continuing cavalier attitude - whether 25% of the amount of tax undercharged excessive in respect of the first year
|
D62/96
(PDF file) |
late filing of profits tax return - second time offender - doubling the rate of the previous penalty - not outrageous, excessive or unacceptable - s 82A of Inland Revenue Ordinance
|
D63/96
(PDF file) |
late filing of profits tax return - assessment of additional tax - considerations in arriving at the assessment of additional tax - whether absence of further warning reasonable excuse - s 82A of the Inland Revenue Ordinance
|
D74/96
(PDF file) |
incorrect salaries tax return - failure to disclose gains from exercise of share options - first offender - ignorant of law - unintentional - 10% penalty under s 82A of Inland Revenue Ordinance
|
D80/96
(PDF file) |
PROFITS TAX -
|
|
deduction of financial cost under s 16(1) in assessing the assessable profit - whether interest payable has been deducted under s 16(1) of the Inland Revenue Ordinance
|
D58/96
(PDF file) |
capital gains or trading profit - purchased property for user which would amount to breach of lease conditions
|
D64/96
(PDF file) |
asset betterment - large unexplained transactions - taxpayer failed to discharge onus
|
D67/96
(PDF file) |
whether profit derived from sale of property assessable to profits tax
|
D68/96
(PDF file) |
whether profit derived from sale of a property assessable to profits tax
|
D69/96
(PDF file) |
joint purchase and sale of flat by three
persons - whether adventure in nature of trade - claim by one of the taxpayers that flat was
purchased as his residence - whether partnership existed between the persons assessed to
profits tax - IRO ss 2(1), 14 and 22(1)
|
D77/96
(PDF file) |
allowable deductions - 'Agency Right Fee' - whether taxpayer entitled to deduct the sum of agency right fee in ascertaining profits - ss 16(1a) and 17(1) of the Inland Revenue Ordinance
|
D89/96
(PDF file) |
SALARIES TAX -
|
|
s 8(1) - whether income arising in or derived from Hong Kong - s 8(1B) - 60 days rule
|
D78/96
(PDF file) |
whether 'Severance pay' constitutes 'gratuity' which is taxable - ss 8(1) and 9(1) of the Inland Revenue Ordinance
|
D90/96
(PDF file) |
back
|
|