In Advovacy, Blog

Fiscal aggression and the Rule of Law: The Implications of Pentecostal Assemblies of God Vs. Uganda Revenue Athority on Uganda’s Tax Jurisprudence.

The recent decision of the High Court, in the dispute between PAG and the Uganda Revenue Authority represents a significant turning point in Uganda’s tax jurisprudence. More than a mere tax dispute, the case addresses the constitutional limits…

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In Advovacy, Blog

Tax Exemptions for Investment Funds: Key Benefits and Eligibility Criteria

In a bid to stimulate investment and drive economic growth, Uganda has introduced income tax exemptions for private equity and venture capital funds regulated by the Capital Markets Authority (CMA). This initiative is designed to…

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In Advovacy, Blog

“Understanding Tax Loss Carryforward Limitations: Rules, Benefits, and Strategies”

Uganda has introduced a significant amendment to its tax laws, limiting the carryforward of tax losses to a maximum of seven years. Under the new rule, only 50% of the remaining losses can be utilized…

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