Tax Appeals Commission determination 114TACD2024 regarding Income Tax, 2024

Administrative Decision Number114TACD2024
Year2024
Date28 June 2024
Subject MatterIncome Tax
RespondentTHE REVENUE COMMISSIONERS
1
AN COIMISIÚIN UM ACHOMHAIRC CHÁNACH
TAX APPEALS COMMISSION
114TACD2024
Between
Appellant
and
THE REVENUE COMMISSIONERS
Respondent
Determination
2
Contents
Introduction ........................................................................................................................... 3
Background ........................................................................................................................... 3
Legislation and Guidelines .................................................................................................... 6
Submissions ....................................................................................................................... 11
Appellant ......................................................................................................................... 11
Respondent ..................................................................................................................... 11
Uncontested Material Facts................................................................................................. 12
Contested Material Facts .................................................................................................... 13
Findings of Material Facts ................................................................................................... 36
Analysis .............................................................................................................................. 38
Determination ..................................................................................................................... 40
Notification .......................................................................................................................... 41
Appeal ................................................................................................................................ 41
3
Introduction
1. This appeal comes before the Tax Appeals Commission (hereinafter the "Commission")
against Notices of Amended Assessment to income tax for the years 2017 and 2019
raised by the Revenue Commissioners (hereinafter the "Respondent") on 10 December
2022.
2. The Appellant lodged a Notice of Appeal with the Commission in relation to the Notices
of Amended Assessment on 30 January 2023.
3. The amount of tax in dispute is €30,683.
Background
4. Mr (hereinafter the "Appellant") is a taxpayer who is jointly assessed to
tax with his wife (hereinafter the “Appellant’s wife”). The Appellant
was the assessable spouse in 2017 and 2019.
5. In 2007 the Appellant’s wife made an investment in the
(hereinafter the "Fund").
6. The Fund was incorporated in on and was not tax resident in
Ireland. The Fund was promoted by (hereinafter the "Bank") and was
incorporated for the purpose of raising funds for investment, in the main, in
investment properties.
7. The investment in the Fund took the form of a Capital Commitment Agreement which the
Appellant’s wife entered into for a total amount of €102,500. The Commissioner has not
been furnished with a copy of the Capital Commitment Agreement entered into by the
Appellant’s wife.
8. As a result of the Capital Commitment Agreement entered into by the Appellant’s wife,
she invested in and was issued 25 Participating Shares at a value of €1,000 per share,
representing a value of €25,000. The Commissioner has not been furnished with
documentary evidence of the share certificates issued to the Appellant’s wife as a result
of entering into the Capital Commitment Agreement.
9. In addition, as part of the Capital Commitment Agreement entered into by the Appellant’s
wife, she advanced a total of €77,500 to the Fund in the form of an interest free, non-
recourse, subordinated loan on foot of which Loan Notes were issued. The
Commissioner has not been furnished with documentary evidence in relation to the Loan
Notes issued to the Appellant.

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