1.0 INTRODUCTION
Section 12(1) of CITA 1990 states that the profit or loss of a foreign company which carries on the business of transport by sea or by air, and any ship or aircraft owned or chartered by it and calls at any seaport or airport in Nigeria- its income or loss is deemed to be derived from Nigeria- shall be the full profit or loss arising from the carriage of passengers, mails, livestock or goods, shipped or loaded into an aircraft in Nigeria. This provision does not apply to passengers, mails, livestock or goods which are brought to Nigeria, solely for transhipment or for transfer from one aircraft to another or in the direction between an Aircraft and a ship.Hence, the assessment of companies such as these to taxation differs a little in terms of the principles and methods from other assessments. The unit shall expose you to the detailed issues involved.
2.0 OBJECTIVES
At the end of this unit, you should be able to:- state the issues involved in taxation for shipping and airline companies
- explain the ratios required for the determination of taxable profits
- distinguish between the ratio of adjusted profit and ratio of depreciation relief
- illustrate the process of arriving at tax liability using the relevant tax rate.
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