Case Law

This page shows a summary of relevant case law. To view the section of legislation to which the case law applies, click the link below:

Case Law

The Tax Appeals Commissioner found in favour of the taxpayer and determined and that a complete break from the company was not necessary and therefore that the taxpayer satisfied the 'substantial reduction' test and accordingly the redemption and cancellation of his redeemable ordinary shares was not a distribution by the company. 22TACD2017