Dividend From Gas Profit Is Liable To WHT But Balancing Charge Is Not Liable To Education Tax

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The Tax Appeal Tribunal (TAT) reaffirms previous decisions that interest on related party loans is tax deductible provided it satisfies arms-length principles.
Nigeria Tax

The Tax Appeal Tribunal (TAT) reaffirms previous decisions that interest on related party loans is tax deductible provided it satisfies arms-length principles. Also the TAT ruled that WHT is applicable on gas profits distributed as dividend but balancing charge should not form part of assessable profits for Tertiary Education Tax purposes.

Read more Download PwC Tax Alert_WHT on Gas Profit and TET on Balancing Charge

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