Fisher and Shelmerdine Ltd. v The Commissioner of Income Tax (High Court Civil Cause 34 of 1941) [1941] ZMHCNR 15 (31 December 1941)

Fisher and Shelmerdine Ltd. v The Commissioner of Income Tax (High Court Civil Cause 34 of 1941) [1941] ZMHCNR 15 (31 December 1941)

Leave pay credited to a suspense account is a contingent liability, not an outgoing or expense actually incurred, and is not deductible. The annual sum paid to Mr. Shelmerdine is in the nature of salary for services rendered and is deductible. Directors' fees paid as a method of profit distribution are not...

Source-derived case information.

Citation
[1941] ZMHCNR 15
Parties
Appellant: Fisher and Shelmerdine Ltd.; Respondent: Commissioner of Income Tax
Court
High Court of Northern Rhodesia
Jurisdiction
Zambia
Case Number
High Court Civil Cause 34 of 1941
Procedural Posture
Income Tax Appeal / Judgment After Hearing of Appeal Against Assessment
Outcome
Partly allowed
Legal Topics
Income Tax Assessment, Deductibility of Expenses, Leave Pay, Directors' Fees
Source Language
en
Tax Law Income Tax Assessment Deductibility of Expenses Leave Pay Directors' Fees

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Downloadable case file Legal principles 2 Authorities cited 2 Party arguments 2 Amounts and remedies 1
Sign in to unlock

Parties

Fisher and Shelmerdine Ltd.

Appellant

Commissioner of Income Tax

Respondent

Procedural Posture

Income Tax Appeal / Judgment After Hearing of Appeal Against Assessment

  1. 1 Whether leave pay credited to a suspense account is a deductible expense under section 10(1) Cap. 64 as amended
  2. 2 Whether annual payments to Mr. Shelmerdine are deductible as salary
  3. 3 Whether directors' fees paid as profit distribution are deductible

Ratio Decidendi

Leave pay credited to a suspense account is a contingent liability, not an outgoing or expense actually incurred, and is not deductible. The annual sum paid to Mr. Shelmerdine is in the nature of salary for services rendered and is deductible. Directors' fees paid as a method of profit distribution are not deductible as expenses.

Court Disposition

Partly allowed

Orders

  • Assessment reduced by the amount of the permissible deduction (£E) for the periods in question.
  • Appellants awarded costs fixed at £15 15s.