[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.]
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Decision
No
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PENALTY TAX -
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omission of part of
salaries and also gain on exercise of share options from tax return
- whether no intention to evade tax or ignorance of law amounts
to a reasonable excuse - whether 21.04% penalty excessive in the
circumstances - Inland Revenue Ordinance s 82A
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D112/97
(PDF file) |
incorrect salaries
tax return - putting down '§Ñ°O' as the 'Total'
income - whether reasonable excuse - s 82A(1)(a) of the Inland
Revenue Ordinance
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D114/97
(PDF file) |
omission in tax return
- reasonable excuse - mitigation factors - burden of proof - whether
liable for additional tax - ss 82(1) and 82A of the Inland Revenue
Ordinance
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D9/98
(PDF file) |
late filing of tax
return - submission of parties - reasonable excuse - automatic
block extension - Departmental Code - ss 18D, 51(1), 80(2)(d)
and 82A(1) and (4) of the Inland Revenue Ordinance
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D10/98
(PDF file) |
PROFITS TAX -
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profits arising from
sale of property - investment or trade - Inland Revenue Ordinance
s 68(4)
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D105/97
(PDF file) |
sale of land - whether
the land was acquired as a capital asset - intention at the time
of acquisition - burden of proof - Inland Revenue Ordinance s
68(4)
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D108/97
(PDF file) |
sale and purchase
of shares - whether loss in one year can be available as a set
off against profits for future years - whether a trade or business
- Inland Revenue Ordinance s 19C
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D111/97
(PDF file) |
sale of property -
whether profits derived from the sale of a property assessable
to profits tax - intention at the time of acquisition
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D113/97
(PDF file) |
sale of property -
whether profits derived from the sale of the property assessable
to profits tax - whether loss can be set-off - intention at the
time of purchase - inference from long list of property transactions
- whether short period of ownership indicative of an intention
to trade
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D116/97
(PDF file) |
whether profits realized
from sale of property is merely a capital gain or liable to profits
tax assessment - whether assessment excessive or otherwise incorrect
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D117/97
(PDF file) |
appeal against the
Commissioner's determination - late - ss 51(8), 66(1) and (1A)
of the Inland Revenue Ordinance
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D124/97
(PDF file) |
taxability of the
profits arising from the disposal of property
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D126/97
(PDF file) |
real property - intention
to trade - onus of proof - whether the profits arising from the
dispositions of three flats were liable for profits tax - ss 2
and 68(4) of the Inland Revenue Ordinance
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D6/98
(PDF file) |
real property - intention
of taxpayer at the time of purchase - 'genuinely held, realistic
and realisable' - whether the profit arising from the disposition
of a property was liable for profits tax
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D8/98
(PDF file) |
SALARIES TAX -
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housing benefit -
rental value calculation - whether gratuity should be totally
excluded from the rental value calculation - whether gratuity
can be restricted to a period in computing rental value - whether
rental value can be aggregated - ss 9(1)(c) and 9(2) of the Inland
Revenue Ordinance
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D115/97
(PDF file) |
contract for service
or contract of service - expenditure deductible - delay in giving
notice of appeal - ss 8, 12(1)(a), 14, 66(1A) amd 66(2) of the
Inland Revenue Ordinance
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D121/97
(PDF file) |
back
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