[Home ] [Archive]   [ فارسی ]  
:: Main :: About :: Current Issue :: Archive :: Search :: Submit :: Contact ::
Main Menu
Home::
Journal Information::
Articles archive::
For Authors::
For Reviewers::
Registration::
Contact us::
Site Facilities::
::
Search in website

Advanced Search
..
Receive site information
Enter your Email in the following box to receive the site news and information.
..
:: Volume 9, Issue 29 (3-2022) ::
qjal 2022, 9(29): 151-171 Back to browse issues page
A Critique of the commentary on the prescription of transfer tax and the right to convey from High Council of Tax
Mohammadreza Abbasi , Hamidreza Salehi *
Abstract:   (1247 Views)
Due to the unregulated transactions concluded in accordance with the simplification law, the Tax Administration has not been able to access the information of such documents, thereby despite the expiration of a long time, the relevant reports of transfer tax and the right to convey have not been prepared for many of those transactions. Here, a question arises that whether these types of transactions are subject to tax prescription? The majority of the High Council of tax distinguishes transfer tax from the right to convey, they argue that: A) Transfer tax is not included in the income taxes. B) The owners have not performed their duties in such transactions, and contrary to the right to convey, they assumed that the relevant transfers are not subject to prescription. This argument does not seem correct, given that, according to the Tax Law, none of them prevent prescription. This article is based on a descriptive-analytical method and it explains that there are two reasons implying transfer tax and the right to convey are not subject to prescription. A) The time period of prescription shall be determined from the maturity date, and under the simplification law the due date of this type of transaction is considered to be subsequent to the date of making the document, and it is unclear. B) The principle is that they are not subject to the prescription.
Keywords: Prescription, the right to convey, transfer, High Council of tax.
     
Type of Study: Research | Subject: Special
Add your comments about this article
Your username or Email:

CAPTCHA



XML   Persian Abstract   Print


Download citation:
BibTeX | RIS | EndNote | Medlars | ProCite | Reference Manager | RefWorks
Send citation to:

abbasi M, salehi H. A Critique of the commentary on the prescription of transfer tax and the right to convey from High Council of Tax. qjal 2022; 9 (29) :151-171
URL: http://qjal.smtc.ac.ir/article-1-937-en.html


Rights and permissions
Creative Commons License This work is licensed under a Creative Commons Attribution-NonCommercial 4.0 International License.
Volume 9, Issue 29 (3-2022) Back to browse issues page
فصلنامه علمی پژوهشی حقوق اداری Administrative Law
Persian site map - English site map - Created in 0.05 seconds with 37 queries by YEKTAWEB 4660