[2023] KEHC 18722 (KLR)

[2023] KEHC 18722 (KLR)

The High Court held that excise duty is chargeable on all fees, charges, or commissions received by financial institutions in relation to their licensed activities, regardless of whether such amounts are directly charged or received as passive income. The court applied the ultimate beneficiary/consumer test to...

Source-derived case information.

Citation
[2023] KEHC 18722 (KLR)
Parties
Appellant: Standard Chartered Bank Kenya Limited; Respondent: Commissioner Of Domestic Taxes
Court
High Court
Court Station
High Court at Nairobi (Milimani Commercial Courts)
Jurisdiction
Kenya
Case Number
Tax Appeal E074 of 2021
Procedural Posture
Tax Appeal / Judgment
Outcome
Appeals dismissed.
Judges
DAS Majanja
Legal Topics
Excise Duty on Financial Services, Exported Services Exemption, Money Transfer Commissions, Related Party Transactions, Card Fees and Commissions
Source Language
en
Tax Law Commercial and Corporate Excise Duty on Financial Services Exported Services Exemption Money Transfer Commissions Related Party Transactions Card Fees and Commissions

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Parties

Standard Chartered Bank Kenya Limited

Appellant

Commissioner Of Domestic Taxes

Respondent

Procedural Posture

Tax Appeal / Judgment

  1. 1 Whether the Excise Duty Act only imposed an obligation to financial institutions to pay excise duty whenever a financial institution charged for a fee.
  2. 2 Whether commissions paid to banks from the Central Bank for purchase of treasury bonds were liable to excise duty.
  3. 3 Whether fees and commissions obtained from non-resident banks to resident banks for exported money transfers imposed an obligation to pay excise duty.

Ratio Decidendi

The High Court held that excise duty is chargeable on all fees, charges, or commissions received by financial institutions in relation to their licensed activities, regardless of whether such amounts are directly charged or received as passive income. The court applied the ultimate beneficiary/consumer test to determine whether a service qualifies as an exported service exempt from excise duty. Where the ultimate consumer or beneficiary of the service is located in Kenya, the service is not considered exported and is subject to excise duty. The court found that support services provided by the appellant to its offshore group entities, VISA contributions, and commissions from the Central...

Court Disposition

Appeals dismissed.

Orders

  • Both appeals are dismissed.
  • No order as to costs.