[2023] KETAT 594 (KLR)

[2023] KETAT 594 (KLR)

The Tribunal found that the loan facility obtained by the Appellant was not interest-free, as both the principal loan agreement and the third addendum provided for interest at Libor plus a margin, with payment and accrual merely deferred, not waived. Therefore, the deemed interest provisions under Section 2 of the...

Source-derived case information.

Citation
[2023] KETAT 594 (KLR)
Parties
Appellant: Thaara Limited; Respondent: Commissioner of Domestic Taxes
Court
Tax Appeal Tribunal
Jurisdiction
Kenya
Case Number
Appeal 1111 of 2022
Procedural Posture
Tax Appeal / Judgment
Outcome
partially_upheld
Judges
E.N Wafula, Cynthia B. Mayaka, Grace Mukuha, EN Njeru, AK Kiprotich
Legal Topics
Withholding Tax, Deemed Interest, Corporation Tax, Burden of Proof, Loan Interest Deferral
Source Language
en
Tax Law Withholding Tax Deemed Interest Corporation Tax Burden of Proof Loan Interest Deferral

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Parties

Thaara Limited

Appellant

Commissioner of Domestic Taxes

Respondent

Procedural Posture

Tax Appeal / Judgment

  1. 1 Whether the Withholding Tax assessment on deemed interest is justified.
  2. 2 Whether the Corporation Tax assessment on sales VAT to Income Tax analysis variance is justified.

Ratio Decidendi

The Tribunal found that the loan facility obtained by the Appellant was not interest-free, as both the principal loan agreement and the third addendum provided for interest at Libor plus a margin, with payment and accrual merely deferred, not waived. Therefore, the deemed interest provisions under Section 2 of the Income Tax Act did not apply, and the withholding tax assessment on deemed interest was not justified. However, regarding the corporation tax assessment on the variance between sales per VAT and income tax returns, the Appellant failed to provide sufficient verified documentary evidence to prove the Respondent's assessment was erroneous. The burden of proof lay with the...

Court Disposition

partially_upheld

Orders

  • The Appeal is partially upheld.
  • The Respondent’s confirmed Withholding tax assessment amounting to Kshs 18,296,541.00 is set aside.