[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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penalty - 15% of the
amount of tax - excessive - mitigation - genuine oversight and
remorseful
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D93/98
(PDF file) |
incorrect salaries
tax return - failure to disclose certain income chargeable to
tax - unintentional - whether a reasonable excuse existed under
s 82A of Inland Revenue Ordinance - demeanour of the taxpayer
- 10% penalty under s 82A of Inland Revenue Ordinance
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D94/98
(PDF file) |
taxpayer appealing
the Commissioner's findings - date of receipt of appeal notice
by the Board - whether within time limit as prescribed by s 82B(1)
of Inland Revenue Ordinance ('IRO') - ss 8(1) and 71 of Interpretation
and General Clauses Ordinance ('IAGCO') - whether the Board has
jurisdiction to entertain appeal
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D98/98
(PDF file) |
PROFITS TAX -
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additional assessment
- burden of proof - ss 51C and 68(4) of the Inland Revenue Ordinance
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D44/98
(PDF file) |
real property - usage
- whether liable for profits tax
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D63/98
(PDF file) |
compensation for early
termination of distributorship agreement - whether liable to profits
tax - s 68(4) of the Inland Revenue Ordinance
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D64/98
(PDF file) |
assessable profits
- profits arising from purchase and sale of properties by husband
and wife
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D65/98
(PDF file) |
assessable profit
- gains realized from sale of property by a company - whether
the sale of the property amounted to trade - ss 2, 14, 68(4) of
the Inland Revenue Ordinance Chapter 112
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D83/98
(PDF file) |
whether the sale of
a property was a sale of capital asset or trading stock - taxpayer
gone into liquidation - liquidator's duties - application to hear
the appeal in the absence of the taxpayer or liquidator's authorised
representative under s 68(2D) of the Inland Revenue Ordinance
- power of the Board to order the taxpayer to pay costs under
s 68(9) of the IRO
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D88/98
(PDF file) |
whether taxpayer entitled
to exclude from its declared assessable profits a sum as being
offshore profits derived from services rendered outside Hong Kong
- whether the income was in truth income wholly arising in Hong
Kong - s 14 of the Inland Revenue Ordinance
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D89/98
(PDF file) |
acquisition and sale
of properties - intention of purchaser at time of acquisition
- burden of proof on purchaser - whether tax chargeable on the
profits of sale - s 68(4) of Inland Revenue Ordinance
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D99/98
(PDF file) |
SALARIES TAX -
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whether payment under
voluntary retirement scheme damages for breach of contract or
income from employment
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D58/98
(PDF file) |
retirement scheme
- pension on termination of employment - statutory concession
- whether there was a dismissal within the meaning of s 31T(2)
of the Employment Ordinance - re-engagement - whether compensation
to breach
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D59/98
(PDF file) |
time-apportioned basis
- secondment overseas - whether income earned in that period assessable
to tax - whether new employment - intra-group billing arrangements
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D61/98
(PDF file) |
delay of filing a
notice of appeal - s 66(1A) of the Inland Revenue Ordinance -
meaning of the word 'transmission' under s 66(1) of the IRO -
burden of proof
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D62/98
(PDF file) |
whether transaction
artificial or fictitious - whether contract of service or contract
for services - s 61 of Inland Revenue Ordinance
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D69/98
(PDF file) |
claims arising from
wrongful dismissal - settlement - whether settlement payment income
from employment and liable to salaries tax - whether apportionable
- whether apportionment reasonable
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D76/98
(PDF file) |
whether persons employed
on the staff of any consulate, who were subjects or citizens of
the state concerned were entitled to exemption under s 8(2)(b)
of the Inland Revenue Ordinance - whether the taxpayer 'represented'
the state to the Hong Kong Government - meaning of the word 'represent'
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D81/98
(PDF file) |
back
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