Board of Review - request to state a case for the opinion of the High Court - whether the issue raised by the appellant was a question of law - s 69(1) of the Inland Revenue Ordinance [英文案例]
D30/87(A)
Board of Review - request to state a case for the opinion of the High Court - which documents should be included: Commissioner's determination, transcript of evidence and Board's decision - s 69(1) of the Inland Revenue Ordinance [英文案例]
D41/85(A)
accounts of taxpayer - to what extent a taxpayer can challenge its own accounts on appeal [英文案例]
D14/88
assets betterment statement - need for taxpayer to adduce proper evidence to challenge such an assessment [英文案例]
D28/88
评税
assets betterment statement - function of such a statement . [英文案例]
D28/88
'error or omission' - accounts properly prepared but with hindsight shown to be inaccurate - whether assessment based on those accounts could be corrected - s 70A of the Inland Revenue Ordinance [英文案例]
D14/88
'error or omission' in preparation of returns - accounts had been properly prepared and profits tax paid - taxpayer subsequently took the view that on the facts the profits should not have been assessed - whether assessments could be reopened - s 70A of the Inland Revenue Ordinance [英文案例]
D18/88
补加税评税
whether penalties excessive - reasonable belief of taxpayer that he was not liable to pay tax - ignorance of penalties - s 82A of the Inland Revenue Ordinance [英文案例]
D29/88
whether penalty excessive - hardship to taxpayer - s 82A of the Inland Revenue Ordinance [英文案例]
D20/88
whether taxpayer could argue that he was not liable to pay tax - ss 70 and 82A of the Inland Revenue Ordinance [英文案例]
D29/88
个人入息课税
personal allowances - whether taxpayer was the child of his father's 'kit fat' (wife) and 'tsip' (concubine) - whether father's 'tsip' (concubine) was taxpayer's step-parent - Chinese law and custom - s l<-2B(2)(b) of the Inland Revenue Ordinance [英文案例]
D27/88
利得税
deductions - expenses incurred by company director - whether company could claim a deduction for those expenses - s 16(1) of the Inland Revenue Ordinance [英文案例]
D12/88
deductions - interest on borrowings - borrowings mixed with shareholders' funds and used to produce both assessable and non-assessable profits - whether interest expenses should be apportioned - purpose of borrowings - s l6(l)(a) of the Inland Revenue Ordinance [英文案例]
D22/88
interest - whether arising 'through or from the carrying on by [a] corporation or its business in [ Hong Kong ]' - relevant factors -s 15(1)(f) of the Inland Revenue Ordinance [英文案例]
D17/88
interest derived by taxpayer - interest not payable in relevant tax year - whether interest accrued for tax purposes on day by day basis - s 15(l)(f) of the Inland Revenue Ordinance [英文案例]
D14/88
interest expenses incurred for acquisition and redevelopment of rental premises - whether capital - whether deductible - s 17(l)(c) of the Inland Revenue Ordinance [英文案例]
D12/88
meaning of 'accrued' - s 15 of the Inland Revenue Ordinance [英文案例]
D14/88
sale of block - whether profits were trading gains or realization of capital - evidential factors: inconsistent accounting treatment and statement by managing director - s 14 of the Inland Revenue Ordinance [英文案例]
D13/88
sale of flat - anticipated loss of harbour view - whether profits were trading gains or realization of capital - s 14 of the Inland Revenue Ordinance [英文案例]
D10/88
sale of land - whether profits were trading gains or realization of capital - evidential matters: short holding period, small capitalization, use of directors' loans and dishonesty of taxpayer - s 14 of the Inland Revenue Ordinance [英文案例]
D23/88
sale of letters of entitlement to land - whether profits were trading gains or realization of capital - evidential factors: prior history of dealing and accounting treatment - s 14 of the Inland Revenue Ordinance [英文案例]
D25/88
sale of premises - change of intention - whether profits were trading gains or realization of capital - s 14 of the Inland Revenue Ordinance [英文案例]
D16/88
sale of shares - whether profits were trading gains or realization of capital - discussion of tests for determining whether taxpayer was engaged in trading or an adventure in the nature of trade - distinction between objective and subjective tests for determining taxpayer's original intention - s 14 of the Inland Revenue Ordinance [英文案例]
D19/88
sale of shares - whether profits were trading gains or realization of capital - numerous purchase and sales forming part of one larger transaction - s 14 of the Inland Revenue Ordinance [英文案例]
D19/88
source of profits - apportionment of profits between two jurisdictions - whether possible - s 14 of the Inland Revenue Ordinance [英文案例]
D18/88
source of profits - exchange gains (and losses) derived by a financial institution - whether gains arose in or derived from Hong Kong - s 14 of the Inland Revenue Ordinance [英文案例]
D26/88
source of profits - interest - whether arising in or derived from Hong Kong - application of 'operations test' to interest income - 'provision of credit' test - s 14 of the Inland Revenue Ordinance [英文案例]
D26/88
source of profits - interest earned by financial institution - whether 'aris[ing] through or from the carrying on by the [taxpayer] of its business in Hong Kong - s 15(l)(i) of the Inland Revenue Ordinance [英文案例]
D26/88
source of profits - reinvoicing company - whether profits arose in or derived from Hong Kong - s 14 of the Inland Revenue Ordinance [英文案例]
D21/88
source of profits - trading company - 'operations test' - significance of place of concluding contracts - other relevant factors -s 14 of the Inland Revenue Ordinance [英文案例]
D21/88
source of profits - trading in goods - discussion of appropriate tests for determining source - status of the 'operations test' - s 14 of the Inland Revenue Ordinance [英文案例]
D18/88
薪俸税
deductions - payment in lieu of notice - whether incurred in the production of assessable profits - s 12(1)(a) of the Inland Revenue Ordinance [英文案例]
D15/88
receipt of income - salary due to employee withheld by way of set-off in order to discharge employee's obligation to employer -whether salary assessable - s 9(l)(a) of the Inland Revenue Ordinance [英文案例]
D15/88
receipt of income - salary refunded to employer to discharge employee's obligation to employer - whether salary assessable - s 9(l)(a) of the Inland Revenue Ordinance [英文案例]
D15/88
removal allowance - taxpayer obliged by his contract of employment to change residence - whether moving allowance provided for this purpose was subject to salaries tax - s 9(l)(a) of the Inland Revenue Ordinance [英文案例]
D11/88
removal expenses - taxpayer obliged by his contract of employment to change residence - whether expenses incurred in moving were deductible - s 12(1)(a) of the Inland Revenue Ordinance [英文案例]
D11/88
severance payment - whether taxable - s 9(1)(a) of the Inland Revenue Ordinance [英文案例]
D24/88
sum paid on termination of employment - whether a taxable gratuity or a tax-free severance payment - s 9(1)(a) of the Inland Revenue Ordinance [英文案例]