Zimbabwe Platinum Mines (Pvt) Ltd v Zimbabwe Revenue Authority and Another (845 of 2022) [2022] ZWHHC 845 (26 May 2022)

Zimbabwe Platinum Mines (Pvt) Ltd v Zimbabwe Revenue Authority and Another (845 of 2022) [2022] ZWHHC 845 (26 May 2022)

The applicant's proposed method of apportioning expenditure based on the currency of invoice is not supported by the relevant legislation. Both income and expenditure must be apportioned according to the RBZ retention ratio, as required by s 4A(10) of the Finance Act and s 15(2)(a) of the Income Tax Act. The...

Source-derived case information.

Citation
[2022] ZWHHC 845
Parties
Applicant: Zimbabwe Platinum Mines (Pvt) Ltd; Respondent: Zimbabwe Revenue Authority; Respondent: Commissioner of Zimbabwe Revenue Authority
Court
Harare High Court
Jurisdiction
Zimbabwe
Case Number
845 of 2022
Procedural Posture
Opposed Application for Declaratory Order / Judgment
Outcome
application dismissed with costs
Legal Topics
Income Tax, Apportionment of Deductions, Statutory Interpretation, Public Notices, Judicial Discretion
Source Language
en
Tax Law Administrative Law Income Tax Apportionment of Deductions Statutory Interpretation Public Notices Judicial Discretion

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 4 Authorities cited 15 Party arguments 2
Sign in to unlock

Parties

Zimbabwe Platinum Mines (Pvt) Ltd

Applicant

Zimbabwe Revenue Authority

Respondent

Commissioner of Zimbabwe Revenue Authority

Respondent

Procedural Posture

Opposed Application for Declaratory Order / Judgment

  1. 1 Whether the applicant is entitled to a declaratory order on the interpretation of public notices regarding apportionment of income and expenditure for tax purposes
  2. 2 Whether the applicant's method of apportionment based on currency of invoice is correct under the relevant statutes
  3. 3 Whether the respondent's public notices constitute improper legislation

Ratio Decidendi

The applicant's proposed method of apportioning expenditure based on the currency of invoice is not supported by the relevant legislation. Both income and expenditure must be apportioned according to the RBZ retention ratio, as required by s 4A(10) of the Finance Act and s 15(2)(a) of the Income Tax Act. The respondent's public notices do not constitute improper legislation but clarify the statutory requirements. The application for a declaratory order is dismissed.

Court Disposition

application dismissed with costs

Orders

  • The application for a declaratory order is dismissed with costs.