Malawi tax collector loses TP case against Eastern Produce

Table of Contents

Malawi tax collector loses case against Eastern Produce

For a copy of the judgment: https://www.dropbox.com/sh/8v1vx14n3hrgky4/AABzcqbi3yExqT14DGRqylDNa?dl=0

BY FESTON MALEKEZO:
The High Court in Blantyre has ruled in favour of the multi-national Eastern Produce Limited in a K1.6 billion transfer pricing case with Malawi Revenue Authority (MRA). Eastern Produce has agricultural and horticultural operations in Kenya, Malawi and South Africa and is part of Camellia Plc Group Company.
The tax collector conducted a tax audit on the multi national company from October 13 to 31, 2014 and among others assessed that in 2009 the company had tax arrears of K97, 394, 224.

“Following the audit, the respondent, issued notices of amended assessments for income tax dated 3 November 2015, as follows; for year of assessment ended June 2010, an additional tax charge of K109, 388,463. For year of assessment ended June 2011, an additional tax charge of K120, 801, 195. For year of assessment ended June 2012, an additional tax charge of K163, 385, 788,” reads part of the judgement pronounced in court on July 27, 2018 at the principal registry, revenue division of the High Court.

The audit also found out that there was an additional tax charge of K286, 639, 738 for the year of assessment ending June 2013. It is said that the results of the audit were communicated to the applicant through letters; the first letter dated December 10, 2014 and the last letter dated April 21, 2016 Eastern Produce Limited and MRA had also been meeting of which the last meeting took place in November 2015.

However, Eastern Produce Limited complained to the High Court and applied for judicial review in 2016 of the decision by MRA in respect of the transfer pricing case where MRA made adjustments. Transfer prices are used when individual entities of a larger multi-entity firm are treated and measured as separately run entities. It is also stated by the applicant that the responded also demanded payment of Non Resident Tax in respect of dividends paid by the applicant to its UK based shareholder, John Ingham and Sons Limited.
“It is said that the applicant has made payments in relation to corporate taxes not in dispute of K697, 000, 000. The total additional corporate tax on demand is K777, 609, 408 which is being disputed and the Non Resident Tax on demand is estimated to be K300, 000, 000,” reads the judgement in part.

Eastern Produce Limited through its lawyers, Maziko Sauti-Phiri of Anchor Mooring Partners Legal Consultants and Attorneys and Henry Ngutwa of Odeide Tax Lawyers challenged MRA’s illegality and irrationality whilst it performed a public function.

“The decision and proceeding by MRA to use OECD (Organisation for Economic Cooperation and Development) guidelines whilst performing transfer pricing analysis and as a basis for effecting amendments to tax assessments was illegal. An order similar to an interim injunction
staying the implementation or assessment pending the determination of the substantive judicial review,” read some of the reliefs Eastern Produce Limited sought from the court.

However, Judge Joseph Chigona agreed with the applicants by declaring that OECD guidelines are not law in Malawi and that section 127a and taxation (Transfer Pricing) regulations, were the applicable law. “That the application of OECD guidelines at the expense of the Taxation (Transfer Pricing) regulations is illegal and Ultravires the respondent’s powers under the Taxation Act,

“I order therefore the applicant within the next 14 days, to submit to the respondent all the necessary documentation pursuant to section 7 of the regulations, 2009 for the respondent to under a comprehensive analysis of the transfer pricing issues and arrive at an appropriate transfer price method. The respondent to communicate its decision after 21 days of its receipt of such documentation. Thereafter, the respondent to communicate the correct tax payable by the applicant,” reads the judgment in part.

In reaction to the judgement one of the lawyers representing Eastern Produce Limited Sauti-Phiri simply said ‘the High Court has delivered a landmark decision on transfer pricing’.

MRA was being represented by Chris Likomwa who could not comment on the matter.

MRA Head of Corporate Affairs Stevie Kapoloma, Steve Kapoloma, said the authority will soon make a decision.

“We will make an informed decision after we sit down with our legal director,” he said.

Shopping Cart
Scroll to Top

Compare Programmes

Choose the track that fits your practice focus. All programmes are practitioner-taught, cohort-based, and validated by Middlesex University.

Dimension Transfer Pricing International Taxation South African Tax Law
Jurisdictional audience Global audience, covers all jurisdictions Global audience, covers all jurisdictions South Africa specific, relevant to SADC region
Ideal for TP managers, advisors, in-house tax teams, analysts moving into TP Advisors and managers dealing with cross-border rules, treaties, planning Practitioners working with the SA Income Tax Act, cases, compliance
Core focus Methods, comparables, DEMPE, documentation, audits, dispute defence Treaties, source vs residence, anti-avoidance, PE, relief from double tax Statutory interpretation, case law, assessments, objections, local practice
Primary tools OECD TP Guidelines, UN Manual, BEPS Actions 8–10, 13, case law OECD and UN Models, MLI, BEPS 1.0 and 2.0, domestic rules, cases Income Tax Act, SARS practice notes, Tax Administration Act, SA cases
Assessment style Case-based assignments, file reviews, short written defences Problem questions, treaty interpretation, position papers Problem questions, statutory analysis, case commentary
Typical outcomes Build defensible TP files and strategies, improve audit readiness Design cross-border structures within rules, mitigate double tax Apply SA tax law accurately, manage reviews and disputes
Entry point Start with PG Certificate, progress to PG Diploma, then MSc, or enter later with suitable experience or credits.

Awards Ladder

Award Best for What you achieve Assessment highlights
PG Certificate Foundation to intermediate upskilling Core concepts, frameworks, and applied techniques Short case write ups, timed responses, applied tasks
PG Diploma Expanding technical depth and application Advanced analysis, risk management, documentation quality Integrated case assignments, policy memos, oral defence
MSc Leaders and specialists building authority Capstone project and research backed practice outcomes Research project, viva or presentation, publishable summary

IFF Certificate Courses

Practical, practitioner-led certificates designed for immediate on-the-job application. Each course can stand alone or act as a pathway into our postgraduate tracks.

Dimension Conducting a Transfer Pricing Trial Effectively Managing Tax Teams Indirect Taxation Tax Risk Management
Jurisdictional audience Global audience Global audience Global audience, with local adaptation Global audience
Ideal for In-house tax, TP managers, litigators, advisors preparing for audits, ADR, trial Heads of tax, managers, team leads, controllers, emerging leaders VAT, GST, customs, finance managers, AP, AR, compliance specialists Tax managers, risk officers, controllers, advisors building governance
Core focus Case theory, evidence files, expert reports, witness prep, courtroom strategy Operating models, KPIs, workflows, stakeholder management, coaching VAT design, place of supply, input credits, exemptions, WHT interactions Risk identification, controls, documentation, audit readiness, dispute playbooks
Delivery mode Online, live sessions plus guided self-study Online, live sessions plus guided self-study Online, live sessions plus guided self-study Online, live sessions plus guided self-study
Duration 16 weeks, part-time 16 weeks, part-time 16 weeks, part-time 16 weeks, part-time
Outcomes Confident litigation preparation and defence for TP disputes Stronger execution, clear roles, measurable team performance Reduced VAT errors, better cash flow, fewer surprises at audit Structured governance, fewer findings, faster dispute resolution
Prerequisites TP fundamentals recommended Supervisory experience helpful Basic VAT knowledge helpful General tax experience helpful
Pathway Progress to PG Certificate in Transfer Pricing Progress to Mechanics of Leading Tax Teams, PG Certificate (leadership) Progress to PG programmes, International Tax or SA Tax Law Progress to PG Certificate in International Taxation or Transfer Pricing
Assessment End of module progress assessment

5000-word assignment if PG-Cert option elected
End of module progress assessment

5000-word assignment if PG-Cert option elected
End of module progress assessment

5000-word assignment if PG-Cert option elected
End of module progress assessment

5000-word assignment if PG-Cert option elected