Question Tag: Federal High Court

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BL – Nov 2020 – L1 – SA – Q19 – Nigerian Legal System

Determining the court with exclusive jurisdiction under the Money Laundering (Prohibition) Act.

The court that is vested with an exclusive right to try all offences under the Money Laundering (Prohibition) Act is the:

Options:

  • A. High Court
  • B. Sharia Court
  • C. Court of Appeal
  • D. Supreme Court
  • E. Federal High Court

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TAX – May 2017 – L2 – SB – Q4 – Tax Dispute Resolution

Explanation of options available to the Revenue Authority and the taxpayer in tax disputes, including jurisdiction of appeals and court conditions.

Jandon is a Nigerian who lived abroad for many years and recently returned to establish a business in Nigeria. He appointed your firm to audit his financial statements. Jandon prepared his own tax computations for the year ended December 31, 2014, and submitted the returns to the Revenue Authority. However, the tax returns have been disputed by the Revenue Authority.

Required:

a. Explain the options open to the Revenue Authority on receipt of a Letter of Objection. (2 Marks)

b. Outline the content of a Notice of Objection. (3 Marks)

c. Describe the jurisdiction of the Tax Appeal Tribunal. (6 Marks)

d. List the conditions to be fulfilled for an appeal to the Federal High Court to be valid. (4 Marks)

e. Identify the options available to an aggrieved taxpayer dissatisfied with the Federal High Court’s decision. (5 Marks)

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BL – Nov 2020 – L1 – SA – Q19 – Nigerian Legal System

Determining the court with exclusive jurisdiction under the Money Laundering (Prohibition) Act.

The court that is vested with an exclusive right to try all offences under the Money Laundering (Prohibition) Act is the:

Options:

  • A. High Court
  • B. Sharia Court
  • C. Court of Appeal
  • D. Supreme Court
  • E. Federal High Court

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You're reporting an error for "BL – Nov 2020 – L1 – SA – Q19 – Nigerian Legal System"

TAX – May 2017 – L2 – SB – Q4 – Tax Dispute Resolution

Explanation of options available to the Revenue Authority and the taxpayer in tax disputes, including jurisdiction of appeals and court conditions.

Jandon is a Nigerian who lived abroad for many years and recently returned to establish a business in Nigeria. He appointed your firm to audit his financial statements. Jandon prepared his own tax computations for the year ended December 31, 2014, and submitted the returns to the Revenue Authority. However, the tax returns have been disputed by the Revenue Authority.

Required:

a. Explain the options open to the Revenue Authority on receipt of a Letter of Objection. (2 Marks)

b. Outline the content of a Notice of Objection. (3 Marks)

c. Describe the jurisdiction of the Tax Appeal Tribunal. (6 Marks)

d. List the conditions to be fulfilled for an appeal to the Federal High Court to be valid. (4 Marks)

e. Identify the options available to an aggrieved taxpayer dissatisfied with the Federal High Court’s decision. (5 Marks)

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