Question Tag: Appeals

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AT – Nov 2024 – L3 – Q3a – Tax Planning and Objection to Tax Assessment

Advise Poyooyo LTD on provisions in tax laws to challenge a disputed tax liability.

The Directors of Poyooyo LTD have heard of the Maxims of Tax Planning, which outline strategies for minimizing tax liabilities legally.

In a recent visit by the Domestic Tax Revenue Division of the Ghana Revenue Authority (GRA), the Large Taxpayers Office (LTO) in Accra conducted a tax audit on the company, resulting in tax assessments raised against Poyooyo LTD for settlement.

Management of the company, in their last meeting with the directors, presented the outcome of the tax audit and strongly argued that the assessment was erroneous. They claimed that the liabilities raised were based on legitimate tax planning strategies the company employed.

They believe that the company is in full compliance with the tax laws and should not be required to settle the tax liabilities assessed. However, payment of the liability would significantly impact the company’s cash flow and disrupt its operations.

Poyooyo LTD has approached your tax consulting firm for assistance and guidance.

Required:

Advise Poyooyo LTD on the provisions of the tax laws that could be taken advantage of to avert the payment of the liability.

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BL – Nov 2011 – L1 – SA – Q12 – Nigerian Legal System

Identifying the next court in the appeal process after the Court of Appeal.

Appeal lies from the Court of Appeal to ……………………………….

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TAX – May 2021 – L1 – SA – Q16 – Tax Administration and Enforcement

Objective question on the time allowed for appealing Lagos State Land Use Charge demand notices.

Section 24(2) of Lagos State Land Use Charge Law 2018, states that the time allowed for an appeal to the tribunal shall be……………….after the date of delivery of the demand notices.
A. 90 days
B. 60 days
C. 45 days
D. 30 days
E. 14 days

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PT – March 2023 – L2 – Q1c – Tax Administration

Explain the process for objecting to the Commissioner-General’s tax decision.

A taxpayer is not satisfied with the Commissioner-General’s tax decision.

Required:

Explain the procedure to be followed in objecting to the Commissioner-General’s tax decision.
(10 marks)

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PT – May 2021 – L2 – Q1c – Tax Administration

Explain the objection processes according to the Revenue Administration Act, 2016 (Act 915).

The Commissioner-General assessed Judah in the 2020 year of assessment, and he is dissatisfied with the assessment. Judah intends to seek redress with the Commissioner-General. He has contacted you for professional advice on objection processes.
Required:
Explain the objection processes as contained in the Revenue Administration Act, 2016 (Act 915) as amended.

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BCL – May 2021 – L1 – Q1c – Hierarchical Structure of Courts

Advising on the potential for overturning a High Court decision and possible redress options.

Mr. Biggs initiated a claim before the High Court at Agona Swedru for certain reliefs. These were based upon Mempeasem Communication Ltd’s allegedly unlawful acts of encroachment upon a piece of land belonging to Mr. Biggs’ family on which a telecommunication tower (mast) had been erected. The action went through a trial. At the end, the court held a judgment that accepted Mr. Biggs’ version of the matter and awarded damages of GH¢ 92 million against Mempeasem Communication Ltd.

Required:
You are working at Mempeasem Communication Ltd’s legal department as an intern. Your boss has asked you to advise him on whether or not the High Court decision, being a Superior Court, can be overturned by any other court. In addition, state if any, from which courts could further redress be sought?

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BCL – May 2019 – L1 – Q1a – Hierarchical Structure of Courts

Write short notes on the jurisdiction and powers of the High Court in Ghana.

In two points each, write short notes on the following: a) High Court (4 marks)

 

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AT – Nov 2024 – L3 – Q3a – Tax Planning and Objection to Tax Assessment

Advise Poyooyo LTD on provisions in tax laws to challenge a disputed tax liability.

The Directors of Poyooyo LTD have heard of the Maxims of Tax Planning, which outline strategies for minimizing tax liabilities legally.

In a recent visit by the Domestic Tax Revenue Division of the Ghana Revenue Authority (GRA), the Large Taxpayers Office (LTO) in Accra conducted a tax audit on the company, resulting in tax assessments raised against Poyooyo LTD for settlement.

Management of the company, in their last meeting with the directors, presented the outcome of the tax audit and strongly argued that the assessment was erroneous. They claimed that the liabilities raised were based on legitimate tax planning strategies the company employed.

They believe that the company is in full compliance with the tax laws and should not be required to settle the tax liabilities assessed. However, payment of the liability would significantly impact the company’s cash flow and disrupt its operations.

Poyooyo LTD has approached your tax consulting firm for assistance and guidance.

Required:

Advise Poyooyo LTD on the provisions of the tax laws that could be taken advantage of to avert the payment of the liability.

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BL – Nov 2011 – L1 – SA – Q12 – Nigerian Legal System

Identifying the next court in the appeal process after the Court of Appeal.

Appeal lies from the Court of Appeal to ……………………………….

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TAX – May 2021 – L1 – SA – Q16 – Tax Administration and Enforcement

Objective question on the time allowed for appealing Lagos State Land Use Charge demand notices.

Section 24(2) of Lagos State Land Use Charge Law 2018, states that the time allowed for an appeal to the tribunal shall be……………….after the date of delivery of the demand notices.
A. 90 days
B. 60 days
C. 45 days
D. 30 days
E. 14 days

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PT – March 2023 – L2 – Q1c – Tax Administration

Explain the process for objecting to the Commissioner-General’s tax decision.

A taxpayer is not satisfied with the Commissioner-General’s tax decision.

Required:

Explain the procedure to be followed in objecting to the Commissioner-General’s tax decision.
(10 marks)

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PT – May 2021 – L2 – Q1c – Tax Administration

Explain the objection processes according to the Revenue Administration Act, 2016 (Act 915).

The Commissioner-General assessed Judah in the 2020 year of assessment, and he is dissatisfied with the assessment. Judah intends to seek redress with the Commissioner-General. He has contacted you for professional advice on objection processes.
Required:
Explain the objection processes as contained in the Revenue Administration Act, 2016 (Act 915) as amended.

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BCL – May 2021 – L1 – Q1c – Hierarchical Structure of Courts

Advising on the potential for overturning a High Court decision and possible redress options.

Mr. Biggs initiated a claim before the High Court at Agona Swedru for certain reliefs. These were based upon Mempeasem Communication Ltd’s allegedly unlawful acts of encroachment upon a piece of land belonging to Mr. Biggs’ family on which a telecommunication tower (mast) had been erected. The action went through a trial. At the end, the court held a judgment that accepted Mr. Biggs’ version of the matter and awarded damages of GH¢ 92 million against Mempeasem Communication Ltd.

Required:
You are working at Mempeasem Communication Ltd’s legal department as an intern. Your boss has asked you to advise him on whether or not the High Court decision, being a Superior Court, can be overturned by any other court. In addition, state if any, from which courts could further redress be sought?

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BCL – May 2019 – L1 – Q1a – Hierarchical Structure of Courts

Write short notes on the jurisdiction and powers of the High Court in Ghana.

In two points each, write short notes on the following: a) High Court (4 marks)

 

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