[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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incorrect profits
tax return - without reasonable excuse - penalty under s 82A of
the Inland Revenue Ordinance
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D13/99
(PDF file) |
failure to include
in tax return a sizable taxable gratuity - no reasonable excuse
- penalty not excessive - Inland Revenue Ordinance, Chapter 112,
s 82A
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D14/99
(PDF file) |
taxpayer's return
filed late - factors to be taken into account to assess propriety
of additional tax being imposed - good track record of submitting
returns on time - lack of candour on the part of the taxpayer
- mitigating circumstances - ss 82A and 82B(2)(c) of the Inland
Revenue Ordinance ('IRO')
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D26/99
(PDF file) |
incorrect salaries
tax return - failure to disclose certain sums chargeable to tax
- lack of detailed knowledge of Hong Kong tax law - 10% penalty
- whether a reasonable excuse existed under s 82A of the Inland
Revenue Ordinance
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D27/99
(PDF file) |
s 82A of the Inland
Revenue Ordinance - late filing of returns - whether quantum of
penalty excessive - whether professional advisers' negligence
a mitigating factor
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D31/99
(PDF file) |
extension of time
- notice of appeal filed out of time - ss 66(1A) and 82A of the
Inland Revenue Ordinance
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D32/99
(PDF file) |
background of the
taxpayer - cooperation with the assessor - uniform rate of penalty
tax assessment
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D33/99
(PDF file) |
incorrect salaries
tax return - ss 11D(a), 51, 68(4), 68(8)(a), 82A and 82B of the
Inland Revenue Ordinance
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D34/99
(PDF file) |
standard practice
of Inland Revenue Department to draw attention of the taxpayer
the possibility to impose penalty tax - whether withdrawal of
the objection was part of a full and final settlement - whether
the Commissioner was barred to assess penalty tax
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D36/99
(PDF file) |
PROFITS TAX -
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acquisition and sale
of property - intention at time of purchase - change of intention
after purchase - date of change of intention - burden of proof
on purchaser - whether tax chargeable upon revaluation of property
- s 68(4) of the Inland Revenue Ordinance
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D180/98
(PDF file) |
application for an
extension of time to appeal against the determination of the Commissioner
- meaning of 'other reasonable cause' under s 66(1A) of the Inland
Revenue Ordinance
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D4/99
(PDF file) |
acquisition of property
- intention of taxpayer at time of acquisition - burden of proof
on purchaser - lack of supporting evidence fatal to the appeal
- ss 14(1) and 68(4) of the Inland Revenue Ordinance ('IRO') -
discretion to order costs under s 68(9) of the IRO
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D9/99
(PDF file) |
whether gain on disposal
of properties was of capital or trade in nature
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D10/99
(PDF file) |
deduction in assessable
profit in preceding year on the basis of loss on securities found
to be missing - all the lost shares recovered - whether gains
on disposal of recovered shares should be charged to tax
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D11/99
(PDF file) |
profits realized from
sale of property - whether for investment or trading purpose -
intention of taxpayer at the time of acquisition - Inland Revenue
Ordinance, Chapter 112, s 68(4)
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D15/99
(PDF file) |
deductible expense
- management fee accountable to service company - ss 16 and 68(9)
of the Inland Revenue Ordinance
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D17/99
(PDF file) |
service company -
management fee - whether deductible in computing the assessable
profit - Practice Note No. 24 - Inland Revenue Ordinance, Chapter
112, ss 16, 17, 61, 64, 68(4) and Rule 2A(1) of the Inland Revenue
Rules
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D19/99
(PDF file) |
interest income -
whether the taxpayer took part in the transaction as trader or
as agent - whether the business carried on in Hong Kong - s 15(1)(f)
of the Inland Revenue Ordinance - whether the interest income
has accrued to the taxpayer
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D20/99
(PDF file) |
whether assets purchased
medical records or goodwill - whether plant and thus qualifying
for depreciation allowances
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D23/99
(PDF file) |
profits realized from
sale of property - whether for investment or trading purpose -
intention of taxpayer at the time of acquisition - Inland Revenue
Ordinance, Chapter 112, ss 2(1), 14(1) and 68(4)
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D28/99
(PDF file) |
future contracts in
USA - whether outgoings deductible - Inland Revenue Ordinance,
s 16(1)
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D29/99
(PDF file) |
whether the sale of
a property was a sale of capital asset or trading stock - testing
the taxpayer's assertion against the surrounding circumstances
- under what circumstances would the rebuilding allowance be granted
- ss 14(1) and 60 of the Inland Revenue Ordinance
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D30/99
(PDF file) |
SALARIES TAX -
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allowable deductions
- meaning of 'outgoings and expenses' - whether taxpayer entitled
to claim deductions - s 12(1)(a) of the Inland Revenue Ordinance
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D8/99
(PDF file) |
whether the housing
allowance is exempt from salaries tax assessment - Inland Revenue
Ordinance, s 9(1)(a)
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D18/99
(PDF file) |
income - severance
payments and long service payments - ss 8 and 9(1)(a) of the Inland
Revenue Ordinance - ss 31B(2), 31J(2), 31R, 31T(1) and 31T(2)
of the Employment Ordinance
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D25/99
(PDF file) |
ascertaining the number
of employment contract and the source of income - the Commissioner
is entitled to scrutinize all evidence, documentary or otherwise,
that is relevant to the matter concerned - ss 8(1), 12(1)(a) and
68(4) of the Inland Revenue Ordinance
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D35/99
(PDF file) |
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