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Income taxation by residence and/or source in Lesotho

"The Income Tax Acts themselves impose a territorial limit; either that from which the taxable income is derived must be situate in the United Kingdom or the person whose income is to be taxed must be resident there", per Lord Herschell in Colquhoun v Brooks (1889) 2 TC 490 at 498 These remarks by...

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Main Author: Hlajoane, Dorothy Masebili
Other Authors: Emslie, Trevor S.
Format: Thesis
Language:English
Published: Department of Commercial Law 2023
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access_status_str Open Access
author Hlajoane, Dorothy Masebili
author2 Emslie, Trevor S.
author_browse Emslie, Trevor S.
Hlajoane, Dorothy Masebili
author_facet Emslie, Trevor S.
Hlajoane, Dorothy Masebili
author_sort Hlajoane, Dorothy Masebili
collection Thesis
description "The Income Tax Acts themselves impose a territorial limit; either that from which the taxable income is derived must be situate in the United Kingdom or the person whose income is to be taxed must be resident there", per Lord Herschell in Colquhoun v Brooks (1889) 2 TC 490 at 498 These remarks by Lord Herschell even though directed at the United Kingdom tax system in 1889 seem to capture the situation in the new tax law in Lesotho. A recurring question for any tax system to date is is taxation by either residence and/or source appropriate? This question inspired my research into the examination of the new Lesotho Income Tax Order No 9 of 1993.
format Thesis
id oai:open.uct.ac.za:11427/38604
institution University of Cape Town (South Africa)
language eng
last_indexed 2026-06-10T12:31:26.417Z
license_str Not specified — see source repository
provenance_str_mv Harvested via OAI-PMH from UCTD — University of Cape Town Open Access Repository
publishDate 2023
publishDateRange 2023
publishDateSort 2023
publisher Department of Commercial Law
publisherStr Department of Commercial Law
record_format dspace
source_str UCTD — University of Cape Town Open Access Repository
spelling oai:open.uct.ac.za:11427/38604 Income taxation by residence and/or source in Lesotho Hlajoane, Dorothy Masebili Emslie, Trevor S. Income tax - Law and legislation - Lesotho "The Income Tax Acts themselves impose a territorial limit; either that from which the taxable income is derived must be situate in the United Kingdom or the person whose income is to be taxed must be resident there", per Lord Herschell in Colquhoun v Brooks (1889) 2 TC 490 at 498 These remarks by Lord Herschell even though directed at the United Kingdom tax system in 1889 seem to capture the situation in the new tax law in Lesotho. A recurring question for any tax system to date is is taxation by either residence and/or source appropriate? This question inspired my research into the examination of the new Lesotho Income Tax Order No 9 of 1993. 2023-09-14T12:17:35Z 2023-09-14T12:17:35Z 1995 2023-09-14T12:17:16Z Master Thesis Masters LLM http://hdl.handle.net/11427/38604 eng application/pdf Department of Commercial Law Faculty of Law
spellingShingle Income tax - Law and legislation - Lesotho
Hlajoane, Dorothy Masebili
Income taxation by residence and/or source in Lesotho
thesis_degree_str Master's
title Income taxation by residence and/or source in Lesotho
title_full Income taxation by residence and/or source in Lesotho
title_fullStr Income taxation by residence and/or source in Lesotho
title_full_unstemmed Income taxation by residence and/or source in Lesotho
title_short Income taxation by residence and/or source in Lesotho
title_sort income taxation by residence and or source in lesotho
topic Income tax - Law and legislation - Lesotho
url http://hdl.handle.net/11427/38604
work_keys_str_mv AT hlajoanedorothymasebili incometaxationbyresidenceandorsourceinlesotho