[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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failure to furnish
duly completed tax returns for five years - estimated assessments
made and paid without objection - no mitigating factor - additional
assessments made upon investigation - no reasonable excuse for
omission - additional assessments found to be manifestly inadequate
- the Board increased the assessments to 100% - ss 68(8)(a) and
82B(3) of the Inland Revenue Ordinance ('IRO')
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D65/00
(PDF file) |
incorrect return by
omitting income - gain from exercise of share option - costs -
ss 82A, 82B and 68 of the Inland Revenue Ordinance ('IRO'), chapter
112
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D67/00
(PDF file) |
starting point - extenuating
factors - Inland Revenue Ordinance ('IRO') s 82A
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D69/00
(PDF file) |
payment terms - reasonable
excuse - Inland Revenue Ordinance ('IRO') s 82A
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D75/00
(PDF file) |
PERSONAL ASSESSMENT TAX -
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loss sustained by
share dealing business - meaning of 'trade' and 'business' - ss
2, 14(1), 42(2)(b) and 68(4) of the Inland Revenue Ordinance ('IRO')
- s 5A of the Companies Ordinance
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D74/00
(PDF file) |
PROFITS TAX -
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acquisition and sale
of property - intention at time of purchase - burden of proof
on purchaser to establish that property purchased for long term
investment - credibility of the taxpayer before the Board - s
68(4) of Inland Revenue Ordinance
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D5/00
(PDF file) |
acquisition and sale
of property - intention at time of purchase - burden of proof
on purchaser to establish that property purchased for long term
investment
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D18/00
(PDF file) |
acquisition and sale
of property - 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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D31/00
(PDF file) |
sale of property -
trading or capital gain - alleged error in tax turn - correction
under s 70A of the Inland Revenue Ordinance ('IRO') chapter 112
- s 68 of the IRO chapter 112
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D46/00
(PDF file) |
service company -
deductions claimed in respect of rent of residential home - whether
properly deducted - Departmental Interpretation and Practice Note
No 24 ('DIPN 24') - whether retrospectively effective - ss 16(1),
17(1), 61 and 68(4) of Inland Revenue Ordinance ('IRO')
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D53/00
(PDF file) |
source of profits
- within or outside Hong Kong - Departmental Interpretation Practice
Note 21 ('DIPN 21') - whether profits arose in or were derived
from Hong Kong from a trade, profession or business - ss 2, 14
of the Inland Revenue Ordinance ('IRO')
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D55/00
(PDF file) |
sale of property -
whether capital gain or trading gain - whether the sale and purchase
of the property amounted to an adventure in the nature of trade
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D60/00
(PDF file) |
sale of property -
whether profits derived from the sale of the property assessable
to profits tax - ss 2 and 68(4) of the Inland Revenue Ordinance
('IRO') - onus of proof - intention of the taxpayer - termination
of the lease by the tenant - financial difficulty - whether the
quick sale is inconsistent with the long term investment intention
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D63/00
(PDF file) |
real property - whether
the gains arising from the disposal of a property was liable for
profits tax - ss 2, 14(1) and 68(4) of the Inland Revenue Ordinance
('IRO')
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D66/00
(PDF file) |
sale of shares in
private company - whether investment or trade
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D68/00
(PDF file) |
real property - whether
the gains arising from the disposal of a property was liable for
profits tax
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D84/00
(PDF file) |
SALARIES TAX -
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whether housing allowance
or rent refund - whether transaction artificial or fictitious
- Inland Revenue Ordinance ('IRO') ss 8(1), 9(1A) and 61
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D56/00
(PDF file) |
s 68(4) of the Inland
Revenue Ordinance ('IRO') - onus of proof - whether an employment
income arose in or was derived from Hong Kong - two-contract arrangement
- interpretation of the facts - tax-consideration motivation
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D76/00
(PDF file) |
employment - whether
liable to salaries tax - whether taxpayer was carrying on business
on her own account
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D79/00
(PDF file) |
s 8(1) of the Inland
Revenue Ordinance ('IRO')- whether income arising in or derived
from employment - whether 'top-up supplement' amount paid on leave
was in the nature of an ex gratia payment
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D80/00
(PDF file) |
additional assessment
- interest free loan during study leave - deductions in respect
of expenses incidental to study - ss 8(1), 8(2), 9(1), 11B, 11D,
and 12(1) of the Inland Revenue Ordinance ('IRO')
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D83/00
(PDF file) |
whether certain sums
were paid by employer as a refund of rent - appeal lodged outside
the prescribed period - ss 61 and 66 of the Inland Revenue Ordinance
('IRO')
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D85/00
(PDF file) |
employment - place
of performance - source of income - 60 days limit - whether liable
to salaries tax - totality of facts test - when income could be
apportioned for determination of salaries tax - ss 8(1) and 8(1A)
of the Inland Revenue Ordinance ('IRO')
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D87/00
(PDF file) |
termination of employment
- whether salary and supplementary allowance paid for the period
in which the payee was not required to work was liable to salaries
tax - ss 8(1) and 9 of the Inland Revenue Ordinance ('IRO')
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D88/00
(PDF file) |
back
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