[2023] UGSC 45

[2023] UGSC 45

The Supreme Court held that penal tax under Section 65(3) of the Value Added Tax Act accrues on unpaid VAT from the due date, regardless of the taxpayer's lodging of an objection or appeal. The procedural requirement to pay 30% of the disputed tax to access the Tax Appeals Tribunal does not suspend the accrual of...

Source-derived case information.

Citation
[2023] UGSC 45
Parties
Appellant: Commissioner General Uganda Revenue Authority; Respondent: Airtel (U) Ltd
Court
Supreme Court of Uganda
Jurisdiction
Uganda
Procedural Posture
Civil Appeal / Final Appellate Judgment
Outcome
Appeal allowed; cross-appeal dismissed.
Judges
Mwondha, JSC, Mike Chibita, JSC, Elizabeth Musoke, JSC, Tibatemwa-Ekirikubinza, JSC, Tuhaise, JSC
Legal Topics
Vat Assessment, Penal Tax Liability, Tax Objection Procedure, Interest on Tax Arrears, Statutory Interpretation, Tax Refund Entitlement
Source Language
en
Tax Law Civil Procedure Commercial and Corporate Vat Assessment Penal Tax Liability Tax Objection Procedure Interest on Tax Arrears Statutory Interpretation +1 more

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Parties

Commissioner General Uganda Revenue Authority

Appellant

Airtel (U) Ltd

Respondent

Procedural Posture

Civil Appeal / Final Appellate Judgment

  1. 1 Whether penal tax under Section 65(3) of the Value Added Tax Act continues to accrue during the pendency of tax objection proceedings in the Tax Appeals Tribunal and subsequent appeals.
  2. 2 Whether the respondent is entitled to a refund of penal tax and interest paid during the objection and appeal process.
  3. 3 Whether the Court of Appeal erred in interpreting the relevant statutory provisions and ordering a refund.

Ratio Decidendi

The Supreme Court held that penal tax under Section 65(3) of the Value Added Tax Act accrues on unpaid VAT from the due date, regardless of the taxpayer's lodging of an objection or appeal. The procedural requirement to pay 30% of the disputed tax to access the Tax Appeals Tribunal does not suspend the accrual of penal tax on the remaining balance. The Court found no statutory provision expressly suspending penal tax during objection proceedings, and Parliament's silence on this matter precludes judicial creation of such a suspension by intendment. The Court rejected the Court of Appeal's interpretation that implied a suspension, reaffirming that only Parliament can legislate tax...

Court Disposition

Appeal allowed; cross-appeal dismissed.

Orders

  • The decision of the Court of Appeal is set aside.
  • The decision of the High Court dismissing the respondent's suit is reinstated.