[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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late filing of returns
- whether an application for extension of time is an excuse -
whether payment of tax under the First Estimated Assessment a
mitigating factor - whether quantum of penalty excessive -unintentional
- ss 68(9) and 82A of the Inland Revenue Ordinance ('IRO') - frivolous
appeal - order to pay cost
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D134/00
(PDF file) |
onus of proof on
taxpayer on appeal - positive evidence - negative evidence - what
relevant factors in assessing the appropriate penalty - imposition
of additional assessments should be done in a consistent manner
- additional assessments found to be excessive - the Board adjusted
the penalty/additional assessments to the rate of 100% of tax
undercharged - ss 68(4), 82A and 82B of the Inland Revenue Ordinance
('IRO'). [Decision in Chinese]
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D154/00
(PDF file) |
whether reasonable
excuse - whether excessive
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D10/01
(PDF file) |
submission of incorrect
tax returns without reasonable excuse - grossly understated assessable
profits in tax returns for several years of assessment - penalties
imposed range from 101.14% to 111.15% of the tax undercharged
- s 82A of the Inland Revenue Ordinance ('IRO')
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D12/01
(PDF file) |
late filing of tax
return - reasonable excuse - ss 51(1) and 82A of the Inland Revenue
Ordinance ('IRO')
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D15/01
(PDF file) |
incorrect tax return
- Practice Notes 'Locality of Profits'
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D17/01
(PDF file) |
PERSONAL ASSESSMENT -
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personal assessment
on his total income - s 42(1) of the Inland Revenue Ordinance
('IRO')
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D4/01
(PDF file) |
PROFITS TAX -
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acquisition and proposed
development of real property by 50:50 joint venture between two
groups of companies - transfer of 50% shareholding in joint venture
vehicle of offshore company acquired by one joint venture partner
- sale of offshore company to subsidiary of other group within
short period of time - whether transfer of offshore company an
adventure in the nature of trade - intention at time of purchase
- whether profit earned - Sharkey v Wernher principle -
ss 14 and 68(4) of the Inland Revenue Ordinance ('IRO')
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D142/00
(PDF file) |
whether profits from
the sale of a property assessable to profits tax - onus of proof
resting upon taxpayers to displace the inference of trade arising
from the rapid succession of purchase and sale - gross abuse of
the appeal mechanism - s 68(4) and 68(9) of the Inland Revenue
Ordinance ('IRO')
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D148/00
(PDF file) |
whether diminution
in value of properties - whether deductible
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D8/01
(PDF file) |
lodging appeal against
Commissioner's determination - taxpayer seeking extension of time
to lodge - taxpayer failing to give reasons for failure to lodge
- absent from Hong Kong - no automatic right of extension - burden
on taxpayer - s 66(1A) of the Inland Revenue Ordinance ('IRO')
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D19/01
(PDF file) |
SALARIES TAX -
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whether gratuity
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D131/00
(PDF file) |
net assessable income
- deduction - fees incurred for Chinese opera course by a police
constable - ss 12(1), (6) and 70 of the Inland Revenue Ordinance
('IRO')
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D138/00
(PDF file) |
notice of appeal
- extension of time - discretion - s 66(1A) of the Inland Revenue
Ordinance ('IRO')
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D139/00
(PDF file) |
whether certain amounts
in dispute are rent, which is deductible as opposed to salary,
which is taxable in full - retrospectively alter the nature of
the income accured by, and paid to, the taxpayer is never allowed
- whether 'prevented' from giving the requisite notice of appeal
- ss 8(1), 9(1)(a), 66(1) and 66(1A) of the Inland Revenue Ordinance
('IRO')
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D140/00
(PDF file) |
married person's
allowance - child allowance - s 29 of the Inland Revenue Ordinance
('IRO') - whether the taxpayer had the predominant care of his
two sons
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D144/00
(PDF file) |
housing benefits
- whether should be classified as a refund of rent or an allowance
- s 9(1)(a) and 9(1A)(a) of the Inland Revenue Ordinance ('IRO')
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D149/00
(PDF file) |
exemption - whether
severance payment/ long service payment - whether entitled to
10% tax refund under the Tax Exemption (1997 Tax Year) Order -
ss 8(1), 9(1), 68(4) and 87 of the Inland Revenue Ordinance ('IRO')
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D151/00
(PDF file) |
deductions - home
loan interest - premium on Hong Kong Housing Authority flat -
s 26E of the Inland Revenue Ordinance ('IRO')
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D2/01
(PDF file) |
recognized retirement
scheme - s 9(1)(ab)(i) of the Inland Revenue Ordinance ('IRO')
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D9/01
(PDF file) |
allowable deductions
- membership fee - s 12(1) of the Inland Revenue Ordinance ('IRO')
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D11/01
(PDF file) |
mortgage loan - allowable
home loan interest deduction - basis of calculation of deduction-
s 26E of the Inland Revenue Ordinance ('IRO')
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D20/01
(PDF file) |
back
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