Cooper Motors Corporation (U) Ltd v Uganda Revenue Authority (TAT Application No. 67 of 2018)
Cooper Motors Corporation (U) Ltd v Uganda Revenue Authority (TAT Application No. 67 of 2018) [2020] UGTAT 2 (17 March 2020)
The Tribunal dismissed a challenge to withholding tax penalties on related-party loan interest, holding the applicant did not prove the debt-to-equity conversion or payment timing.
- Withholding Tax
- Related Party Loans
- Interest Payments
- Statutory Interpretation
- Tax Penalties
- Withholding-tax