Botswana Guardian

BURS wins tax case

- BG REPORTER

Botswana Unified Revenue Services ( BURS) has won an P8million tax tussle against a diamond polishing company Diacore Botswana, in a judgment delivered by the board of adjudicato­rs recently.

Diacore’s business is cutting, polishing and selling of rough diamonds sourced from Botswana.

This comes after a tussle centred around the pricing mechanism which were employed by the diamond company in its transactio­ns with two related entities - Diacore Internatio­nal of Switzerlan­d and Makinson Holdings.

Commenting on the case, Managing Tax Consultant at Aupracon Tax Specialist­s, Jonathan Hore said the case is of paramount importance to the country as it is the first such reported judgment pertaining to the pricing of goods between multinatio­nal entities, known as transfer pricing ( TP) or simply,

“BURS, just like any tax authority, takes a keen interest in the prices applied on cross- border intergroup transactio­ns as they may be manipulate­d and therefore prejudice the fiscus. Of particular interest is the fact that the case pertains to periods when the country had not enacted the Transfer Pricing legislatio­n,” said Hore.

The tussle comes after Diacore Botswana recorded company tax losses between 2010 and 2014, triggering its selection for a tax audit by BURS.

The judgment states that: “This audit was spurred by the recorded pattern of losses which Diacore Botswana had submitted tax returns of successive losses for the years 2010 to 2014 consecutiv­ely.”

The dispute between Diacore Botswana and BURS arose in November 2015 after BURS conducted an audit on the tax affairs of the company and issued a transfer pricing analysis report ( TP report) regarding its findings on the company’s dealings.

In the report, BURS observed that Diacore had failed to produce and maintain records which showed that the diamonds were sold to third parties at prices applied between independen­t parties.

Meanwhile, the Income Tax Act requires that related parties, amongst others, must document and trade as if they were not related as that allows BURS to collect the correct amount of company tax.

BURS then issued company tax assessment­s which yielded tax of P8 033 276.97, including penalties. On 28 January 2016, Diacore Botswana engaged an audit firm to act on its behalf to defend its pricing but failed to win the plea, which had been escalated to BURS as an objection.

Even though Diacore Botswana acknowledg­ed that they had not changed their company business model or transfer pricing policy during the period under review. Diacore questioned BURS on the rationalit­y of the new assessment­s.

BURS had adjusted the figures by using cost plus and transactio­nal net margin method in a bid to establish the appropriat­e sales had been conducted on an arm’s length basis.

The judges ruled that Diacore Botswana had not discharged the onus of establishi­ng that its transactio­ns with the related entities were conducted at arm’s length and that the BURS’ TP report was a proper basis for the re- assessment­s.

 ?? ?? BURS head office
BURS head office

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