Zambia Revenue Authority Vs Nestle Zambia Trading Limited (2025): Limitations of The Source Principle Amid Functional Characterizations of Group Entities in Zambia
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ZCAS University
Abstract
This research discusses the limitations of the source principle of taxation in its current
form and to what extent it guides the recharacterisation of group entities, while
maintaining its normative role. The source principle forms the foundation of taxation
in Zambia and aims to define what income is from a Zambian source. The research is
motivated by the fact that the source principle has not been exhaustively defined
under Section 14(1) of the Income Tax Act, to address issues of recharacterisation of
group entities. While Section 18 of the Act has attempted to extend the source
principle beyond the Zambian borders by deeming certain categories of income as
Zambian sourced, challenges are particularly evident under transfer pricing
arrangements that go beyond the scope covered. This has led to uncertainty and
unpredictability in the manner in which transfer pricing assessments may be carried
out. Consequently, it undermines equity and neutrality. This knowledge gap, which
this paper aims to cover, is the lack of an exhaustive definition of the source principle
to shape the recharacterisation of group entities under transfer pricing arrangements.
This study uses statutory law, case law, international instruments such as the
Organisation for Economic Co-operation and Development (OECD) Transfer Pricing
Guidelines and the United Nations Practical Manual on Transfer Pricing and
secondary data to carry out the research. Overall, the research found that the source
principle does not fully shape recharacterisation of group entities during transfer
pricing assessments due to its limited scope. As a result, there is no consistent manner
in which income under transfer pricing arrangements can be attributed to Zambia
because it is shaped by the circumstances of the case. This has negative implications
on the principles of certainty, equity and neutrality, resulting in injustice on the part of
the taxpayer, and consequently altering the taxpayer's behaviour. Therefore, the study
recommends that the law be amended to ensure certainty and predictability, which
will eventually encourage equity and neutrality. Additionally, the courts must
harmonise the source principle and recharacterisation of group entities through
statutory interpretation. Aside from the doctrinal aspect, there is a need for capacity
building on the part of the tax administration to equip tax officers with the necessary
tools to enforce tax laws effectively.
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