Revenue Services Lesotho & Ano. V Liqhobong Mining Development & Ano. (C of A (CIV) No.43/2025) [2025] LSCA 67 (7 November 2025)

Revenue Services Lesotho & Ano. V Liqhobong Mining Development & Ano. (C of A (CIV) No.43/2025) [2025] LSCA 67 (7 November 2025)

The High Court's jurisdiction to suspend payment of tax pending objection or appeal is deferred, not ousted, by the RAT Act and Income Tax Act. Only the RAT or Commissioner General may suspend payment. The High Court erred in assuming jurisdiction before RAT processes were exhausted. Leave to appeal was not required...

Source-derived case information.

Citation
[2025] LSCA 67
Parties
Appellant: Revenue Services Lesotho; Appellant: Commissioner General, Revenue Services Lesotho; Appellant: Commissioner Core Operations, Revenue Services Lesotho; Respondent: Liqhobong Mining Development Co (Pty) Ltd; Respondent: Attorney General
Court
Court of Appeal
Jurisdiction
Lesotho
Case Number
C of A (CIV) No.43/2025
Procedural Posture
Civil Appeal / Final Appellate Judgment
Outcome
appeal upheld
Legal Topics
Jurisdiction, Specialised Tribunal, Tax Assessment, Interim Interdict, RAT Act, Income Tax Act, Condonation, Appeals Procedure, Separation of Powers
Source Language
en
Revenue Law Administrative Law Constitutional Law Jurisdiction Specialised Tribunal Tax Assessment Interim Interdict RAT Act +4 more

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Parties

Revenue Services Lesotho

Appellant

Commissioner General, Revenue Services Lesotho

Appellant

Commissioner Core Operations, Revenue Services Lesotho

Appellant

Liqhobong Mining Development Co (Pty) Ltd

Respondent

Attorney General

Respondent

Procedural Posture

Civil Appeal / Final Appellate Judgment

  1. 1 Whether the High Court has jurisdiction to grant interim interdictory relief suspending payment of tax pending objection/appeal before the Revenue Appeals Tribunal (RAT)
  2. 2 Whether the statutory framework of the RAT Act 2005 and the Income Tax Act 1993 ousts or defers the jurisdiction of the High Court in respect of disputes concerning tax assessments and suspension of payment
  3. 3 Whether leave to appeal was required and whether condonation for late filing should be granted

Ratio Decidendi

The High Court's jurisdiction to suspend payment of tax pending objection or appeal is deferred, not ousted, by the RAT Act and Income Tax Act. Only the RAT or Commissioner General may suspend payment. The High Court erred in assuming jurisdiction before RAT processes were exhausted. Leave to appeal was not required as the finding on jurisdiction was final. Condonation for late filing was granted as the issue was of significant importance and prospects of success existed.

Court Disposition

appeal upheld

Orders

  • Condonation for late filing of the appeal is granted.
  • Appeal is upheld with costs as far as the High Court’s ruling on jurisdiction is concerned.