COURT OF APPEAL PUTRAJAYA
INTERNATIONAL NATUROPATHIC BIO TECH (M) SDN BHD – Appellant
Versus
KETUA PENGARAH HASIL DALAM NEGERI – Respondent
| Table of Content |
|---|
| 1. appeal against high court's affirmation of tax assessment. (Para 1 , 2) |
| 2. appellant's business and property acquisition details. (Para 3 , 4 , 5 , 6 , 7) |
| 3. central issue of tax liability on property disposal. (Para 8 , 9 , 10) |
| 4. principles of appellate intervention in tax cases. (Para 11 , 12 , 13 , 14 , 15) |
| 5. criteria for determining trade vs. investment. (Para 30 , 31 , 33) |
| 6. scit's findings on badges of trade. (Para 57 , 58 , 62) |
| 7. final ruling on the correctness of scit's assessment. (Para 194) |
Introduction
[1] This is an appeal against the judgment of the High Court which had by way of case stated affirmed the decision of the Special Commissioners of Income Tax ("SCIT") which had earlier dismissed the appellant's appeal against the assessment raised by the respondent under s 4(a) of the Income Tax Act 1967 ("the ITA ").
[2] Having heard the appeal - which was conducted by way of a remote communication technology via Zoom - examined the appeal records and considered the submissions by parties, we unanimously decided to affirm the decisions of the High Court and the SCIT, and therefore dismiss the appeal, for the reasons which
Director General of Inland Revenue v. Rakyat Berjaya Sdn Bhd
Kenny Heights Development Sdn Bhd v. Ketua Pengarah Hasil Dalam Negeri
Chua Lip Kong v. Director General of Inland Revenue
E v. Comptroller of Inland Revenue
Lower Perak Co-operative Housing Society Berhad v. Ketua Pengarah Hasil Dalam Negeri
Login now and unlock free premium legal research
Login to SupremeToday AI and access free legal analysis, AI highlights, and smart tools.
Login
now!
India’s Legal research and Law Firm App, Download now!
Copyright © 2023 Vikas Info Solution Pvt Ltd. All Rights Reserved.