The Commissioner General Uganda Revenue Authority v Meera Investments Ltd (Civil Appeal 22 of 2007)
Observed later treatment
Citator coverage is limited to judgments in the Wakilii corpus and source-matched treatment records. Absence of a signal is not an assertion that the case remains good law.
AI-generated summary. This summary was generated by AI from the full text of the judgment. It may contain errors or omissions—always read the source judgment before relying on it.
Holding
The Supreme Court dismissed the appeal. It held that the Commissioner General URA, being empowered by statute (Income Tax Act s.104(2) and URA Act s.10(2)) to sue and recover tax in an official name, is by necessary implication liable to be sued in that same official name, so was a proper party. No statutory notice of intention to sue is required. The suit was not premature: it concerned interpretation of and the relationship between statutory bodies, not mere tax assessment, so the Tax Appeals Tribunal procedure was no precondition; the High Court's original jurisdiction under Article 139(1) cannot be ousted by an Act of Parliament. Only ground 4, on the certificate for two counsel, succeeded.
Outcome
Appeal dismissed; original suit remitted to the High Court for expeditious disposal on the merits.
Facts
The Uganda Investment Authority, under the Investment Code, issued the respondent a certificate of incentives exempting some of its properties from tax. The Commissioner General of the Uganda Revenue Authority later assessed and demanded tax on certain of those properties, claiming they fell within the taxed category. The respondent objected and filed a civil suit in the High Court seeking declarations as to its tax liability, contending that the Commissioner General was overriding the decisions of another statutory body. The appellant raised preliminary objections that the Commissioner General was the wrong party, that mandatory statutory notice had not been served, and that the suit was premature because internal tax-dispute procedures applied. The High Court overruled the objections; the Court of Appeal upheld that decision. The Commissioner General appealed to the Supreme Court.
Issues
- Whether the Commissioner General of the Uganda Revenue Authority is a proper party to be sued, or whether the Uganda Revenue Authority should have been the defendant.
- Whether statutory notice of intention to sue must be served before instituting a suit against the Commissioner General.
- Whether the suit was prematurely before the High Court because the dispute had inbuilt internal and appeal procedures excluding the court's original jurisdiction.
- Whether the Court of Appeal erred in granting a certificate for two counsel.
Orders
- Appeal dismissed with three-quarters costs to the respondent here and in the two courts below, for one counsel only.
- Ground four (certificate for two counsel) allowed.
- Original Suit No. 185 of 2005 remitted to the High Court to be disposed of expeditiously on the merits.
Rules and key headnotes
Legislation cited (32)
- Uganda Revenue Authority Act Cap.196 s.2(2)
- Uganda Revenue Authority Act Cap.196 s.10(1)
- Uganda Revenue Authority Act Cap.196 s.10(2)
- Uganda Revenue Authority Act Cap.196 s.10(3)
- Uganda Revenue Authority Act Cap.196 s.11
- Uganda Revenue Authority Act Cap.196 s.12
- Income Tax Act Cap.340 s.100
- Income Tax Act Cap.340 s.101
- Income Tax Act Cap.340 s.104
- Income Tax Act Cap.340 s.104(2)
- Income Tax Act Cap.340 s.104(3)
- Income Tax Act Cap.340 s.147
- Income Tax Act Cap.340 s.151
- Income Tax Act Cap.340 s.153
- Income Tax Act Cap.340 s.154
- Value Added Tax Act Cap.349 s.63
- Value Added Tax Act Cap.349 s.65(3)
- Civil Procedure and Limitation (Miscellaneous Provisions) Act Cap.72
- Tax Appeals Tribunal Act s.16(1)
- Tax Appeals Tribunal Act s.16(4)
- Tax Appeals Tribunal Act s.16(6)
- Tax Appeals Tribunal Act s.16(7)
- Tax Appeals Tribunal Act s.18
- Tax Appeals Tribunal Act s.19(3)
- Tax Appeals Tribunal Act s.19(6)
- Tax Appeals Tribunal Act s.20
- Tax Appeals Tribunal Act s.22(2)
- Tax Appeals Tribunal Act s.27
- Constitution of Uganda Article 139(1)
- Constitution of Uganda Article 152(3)
- Civil Procedure Rules Cap.71
- Investment Code Statute No.1 of 1991
Cases cited (9)
- Rabo Enterprises (U) Ltd v Commissioner General, Uganda Revenue Authority (Civil Appeal No. 51 of 2003)
- Giella v Cassman Brown & Co Ltd [1973] EA 358
- Kanjee Naranjee V. Income Tax Commissioner, P.C. No 47 of 1962
- Civil Appeal No 14 of 2002 (S.C), (Unreported)
- Commissioner of Income Tax, v. Bell (T.M.) (C.A.), (E.A)224
- Commissioner of Income Tax, v. Godinho (Maria R.S.) (U) (E.A) 977
- R. v. Commissioner General of Income Tax, I.E.A.T.C 36
- R. v. Commissioners of Income Tax (1889) 22 Q.B.D. 296
- Commissioner General of Income Tax.v Kigange Estates Ltd (1968) E.A 464
Cases citing this judgment (27)
How later Ugandan judgments in the Wakilii corpus have cited this case. Treatment labels come from Sequitur — Uganda’s citator — each backed by a verbatim span from the citing judgment, and are not an assertion that this case is, or is not, good law.
- Uganda Revenue Authority v Nyanga Oburofa Enterprises Ltd and Others (Civil Appeal No. 76 of 2025)
- VAS Garage Limited v MTN Uganda Limited (Civil Suit 689 of 2022)
- Kalungi Estate Limited v Uganda Revenue Authority (Miscellaneous Application 515 of 2024)
- Grofin Uganda Limited v Uganda Revenue Authority (Application 14 of 2023)
- TECHNO Investments Limited v Uganda Revenue Authority (Application 25 of 2021)
- Ahmed Said Ali v Uganda Revenue Authority (TAT Application 241 of 2022)
- Uganda Revenue Authority v Nile Breweries Limited and 2 Others (Taxation Application No 46 of 2020)
- Bank of India (U) Limited v NC Beverages Limited and Another (Civil Suit No. 9 of 2021)
- Bank of India (U) Limited v NC Beverages Limited and Another (Civil Suit Originating Summons 9 of 2021)
- Bullion Refinery Limited v Uganda Revenue Authority (Application No TAT 36 of 2021)
- Mugema Peter v Mudiobole Abedi Nasser (Election Petition Appeal No. 16 of 2016)
- Waga v The Cheif Administrative Officer Maracha & Anor (CIVIL SUIT No. 0005 OF 2016)
- Radio Pacis Limited v The Commissioner General Uganda Revenue Authority (CIVIL SUIT No. 0008 OF 2013)
- Uganda Revenue Authority v Rabbo Enterprises (U) Ltd & Anor (Civil Appeal 12 of 2004)
- Mujuni Lincoln v Transafrica Insurance Company Limited (Civil Suit 16 of 2013)
- EXECUTIVE DIRECTOR NATIONAL ENVIRONMENT MANAGEMENT AUTHORITY (NEMA) V SOLID STATE LIMITED (Civil Appeal Number 0239 of 2013.) followed
- Uganda Electricity Distribution Company Ltd v Commissioner General Uganda Revenue Authority (Civil Suit No. 423 of 2010)
- Transtrac Ltd v Damco Logistics Uganda Limited (Miscellaneous Application No 394 of 2010)
- Former Employees of G4S Security Services v G4S Security Services Ltd (Civil Appeal 18 of 2010)
- Nakawa-Naguru Residents Association v Attorney General & Anor (Civil Suit No. 146 of 2011)
- Cable Corporation (U) Ltd. v Uganda Revenue Authority (Civil Appeal No. 1 of 2011)
- Transstrack v Damco Logistics Uganda Ltd (Miscellaneous Application No. 394 of 2010) followed
- Ketan Morjaria & Raji v The Commissioner General URA (Miscellaneous Application No. 628 of 2010)
- 201 Former Employees of G4S Security Services Uganda Ltd v G4S Security Services (Uganda) Ltd (Miscellaneous Application 653 of 2007)
- Karuhanga v Mukasa Kyazike (Civil Application No. 652 of 2007)
- Grace Karuhanga Butare v Ssanyu Mukasa Kyazike (Civil Application No.652 of 2007)
- Uganda Developement Bank Ltd v ABA Trade International Ltd & 3 Ors (Miscellaneous Application No. 567 of 2010)
Full judgment
The original judgment as reported. Read the original PDF before relying on any passage.