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High Court, in consultative case stated, addresses the question of whether a payment received from a non-resident discretionary trust is subject to capital gains tax, and finds that the assessments of the Revenue Commissioner cannot stand due to insufficient evidence, and that a capital payment from a trust should be taxable if it was received after the trust gain in a different year of assessment.
Revenue - tax law - capital gain tax - assessments - dispute of two separate capital gains tax assessments concerning payment received from discretionary trust - tax law provisions - taxable capital payment - alternative assessment - taxes consolidation act 1997
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