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I & M Bank Limited v Commissioner of Domestic Taxes

An out-of-time Objection Decision

KRA’s request for documentation 69 days after receipt of the Objection was inconsequential, and thus the Bank’s Objection to the assessments should be allowed by dint of section 51(11) of the TPA. the Appeal was merited, and the following orders were made:

Resource Information
Author
Firu
Category
Litigation Corner, Pleading Aids
Firu Africa

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