[2007] KEHC 207 (KLR)

[2007] KEHC 207 (KLR)

The court found that the services provided by Reuters (UK) to Stanbic Bank Kenya Limited were technical and consultancy in nature, falling squarely within the definition of 'management and professional fees' as set out in both the 1995 and 2000 versions of the Income Tax Act. The court held that the payments made by...

Source-derived case information.

Citation
[2007] KEHC 207 (KLR)
Parties
Applicant: Republic; Respondent: Kenya Revenue Authority; Applicant: Stanbic Bank Kenya Limited
Court
High Court
Court Station
High Court at Nairobi (Milimani Law Courts)
Jurisdiction
Kenya
Case Number
? 1371 of 2005
Procedural Posture
Miscellaneous Application / Judgment
Outcome
application dismissed with costs to the respondent
Judges
RPV Wendoh
Legal Topics
Withholding Tax, Management and Professional Fees, Technical Services Taxation, Judicial Review Orders, Retrospective Application of Tax Law
Source Language
en
Tax Law Civil Procedure Withholding Tax Management and Professional Fees Technical Services Taxation Judicial Review Orders Retrospective Application of Tax Law

Source-derived case record

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Parties

Republic

Applicant

Kenya Revenue Authority

Respondent

Stanbic Bank Kenya Limited

Applicant

Procedural Posture

Miscellaneous Application / Judgment

  1. 1 Whether payments made by Stanbic Bank Kenya Limited to Reuters (UK) for financial information services between 1996-1999 are subject to withholding tax under the Income Tax Act.
  2. 2 Whether the services provided by Reuters (UK) constitute technical or consultancy services within the meaning of 'management or professional fees' under the Income Tax Act.
  3. 3 Whether the definition of 'management and professional fees' in the Income Tax Act during 1996-1999 covered the services in question.

Ratio Decidendi

The court found that the services provided by Reuters (UK) to Stanbic Bank Kenya Limited were technical and consultancy in nature, falling squarely within the definition of 'management and professional fees' as set out in both the 1995 and 2000 versions of the Income Tax Act. The court held that the payments made by the Applicant to Reuters (UK) for financial information services were subject to withholding tax, and that the Kenya Revenue Authority acted within its statutory mandate in demanding such tax. The court further determined that there was no ambiguity in the relevant statutory provisions and that the Applicant's argument regarding retrospective application of the law was...

Court Disposition

application dismissed with costs to the respondent

Orders

  • The Notice of Motion dated 21st September 2007 is dismissed.
  • The Applicant shall bear the costs of the application.