This is the version of this Act as it was from 24 December 2015 to 18 January 2016. Read the latest available version.
Tax Procedures Act
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LAWS OF KENYA
TAX PROCEDURES ACT
CAP. 469B
- Published in Kenya Gazette Vol. CXVII—No. 145 on 24 December 2015
- Assented to on 15 December 2015
- Commenced on 19 January 2016 by Tax Procedures Act Commencement
Part I – PRELIMINARY
1. Short title
This Act may be cited as the Tax Procedures Act, 2015.2. Object and Purpose of the Act
3. Interpretation
In this Act, except where when the context otherwise requires-"accounting officer" has the meaning assigned under the Public Finance Management Act, 2012;"advance assessment" means an advance assessment made by the Commissioner under section 30;"amended assessment" means an amended assessment made by the Commissioner under section 31;"appealable decision" means an objection decision and any other decision made under a tax law other than –(a)a tax decision; or(b)a decision made in the course of making a tax decision;"assessment" means a self-assessment, default assessment, advance assessment, or amended assessment, and includes any other assessment made under a tax law;"authorised officer", in relation to a tax law, means the Commissioner or an officer appointed by the Commissioner under the Kenya Revenue Authority Act;"Authority" means the Kenya Revenue Authority established under the Kenya Revenue Authority Act;"Cabinet Secretary" means the Cabinet Secretary for the time being responsible for matters relating to finance;"Commissioner" means the Commissioner-General appointed under the Kenya Revenue Authority Act;"company" means-(a)a company as defined in the Companies Act (Cap. 486) or a corporate body formed under any other written law, including a foreign law; or(b)an association, whether incorporated or not, formed outside Kenya that the Cabinet Secretary has, by order, declared to be a company for the purposes of this Act;"controlling member" has the meaning assigned to it in section 18(4)(b);"default assessment" means a default assessment made by the Commissioner under section 29;"document" includes-(a)a book of account, record, paper, register, bank statement, receipt, invoice, voucher, contract or agreement, tax return, Customs declaration, or tax invoice; or(b)any information or data stored on a mechanical or electronic data storage device;"due date" means the date by which taxes are due and payable as specified in the respective tax laws or such other date as the Commissioner may specify in a notice;"excise duty" means excise duty imposed under the Excise Duty Act;"income tax" means income tax imposed under the Income Tax Act;"international organisation" means an organisation with international membership, scope or presence and the membership are sovereign powers or the governments of sovereign powers;"Land Registrar" means Chief Land Registrar, County Land Registrar and Land Registrars appointed under section 12 and 13 of the Land Registration Act, (No. 3 of 2012]."late payment interest" means interest imposed under section 38;"late submission penalty" means a penalty imposed under section 83;"licensed person" means a person registered or licensed under a tax law;"tax agent" means a person licensed as a tax agent under section 20;"limited partnership" means-(a)a limited liability partnership registered under the Limited Liability Partnerships Act, (No. 42 of 2011); or(b)a foreign limited partnership within the meaning in the Partnerships Act, (No. 16 of 2012);"objection decision" has the meaning in section 51(8);"official language" means Kiswahili or English;"penalty" means a penalty imposed under a tax law;"person" includes an individual, company, partnership, limited partnership, association of persons, trust, National Government, foreign government, political subdivision of the National Government or foreign government, or an international organisation;"personal identification number" or "PIN" means the personal identification number issued under section 12;"political subdivision", in relation to a government, means a state, provincial, county, local, or other government at a level lower than the national government;"prescribed form" has the meaning assigned to it in section 70;"refund decision" means a decision referred to in section 47(3);"relative", in relation to an individual, means —(a)an ancestor, a descendant of any of the grandparents, or an adopted child, of the individual;(b)an ancestor, a descendant of any of the grandparents, or an adopted child of a spouse of the individual; or(c)the spouse of the individual or of any person specified in paragraph (a) or (b);"reporting period" means-(a)for the income tax, the year of income or, when section 27 of the Income Tax Act applies, the accounting period of the taxpayer;(b)for withholding tax under the Income Tax Act, the period for which the deduction of tax relates;(c)for Value Added Tax-(i)for a registered person, each calendar month; or(ii)for an importer, the time of the import;(iii)for withholding tax under the Value Added Tax Act, the time for payment for the taxable supplies;(d)for excise duty-(i)for a licensed person, each calendar month; or(ii)for an import of excisable goods, the time of import; or(iii)in the case of an advanced assessment, the period stated in the notice of assessment;(e)for any other tax imposed under a tax law, the period for which the tax is charged;"self-assessment" means an assessment made by a taxpayer or his representative under section 28;"self-assessment return" means a self-assessment return submitted by a tax payer or his representative in accordance with a tax law;"spouse", in relation to an individual, means an individual who is married to the first-mentioned individual under any system of law;"tax" means-(a)a tax or penalty imposed under a tax law;(b)an instalment tax imposed under section 12 of the Income Tax Act; or(c)withholding tax;"tax avoidance" means a transaction or a scheme designed to avoid liability to pay tax under any tax law."Tax Compliance Certificate" means a certificate issued by the Commissioner if satisfied that the person has complied with the tax law in respect of filing returns and has paid all the tax due based on self-assessment or has made an arrangement with the Commissioner to pay any tax due;"tax decision" means-(a)an assessment;(b)a determination under section 17(2) of the amount of tax payable or that will become payable by a taxpayer;(c)a determination of the amount that a tax representative, appointed person, director or controlling member is liable for under sections 15, 17, and 18;(d)a decision on an application by a self-assessment taxpayer under section 31(2);(e)a refund decision;(f)a decision under section 49 requiring repayment of a refund; or(g)a demand for a penalty;"tax law" means-(a)this Act;(b)the Income Tax Act, Value Added Tax Act, and Excise Duty Act; and(c)any Regulations or other subsidiary legislation made under this Act or the Income Tax Act, Value Added Tax Act, and Excise Duty Act;"tax representative", in relation to a taxpayer, means a person who is the tax representative of the taxpayer under section 15;"tax return" means a return required to be submitted under a tax law and includes the following-(a)a statement of exempt income to be submitted under section 62 of the Income Tax Act;(b)a statement and declaration form specified in rule 13 (1) of the Income Tax (PAYE) Rules and rule 11 (1) of the Income Tax (Withholding Tax) Rules;"taxpayer" means a person liable for tax under a tax law whether or not they have accrued any tax liability in a tax period;"Tribunal" means the Tax Appeals Tribunal established under the Tax Appeals Tribunal Act, (No. 40 of 2013);"trust" means-(a)a trust within the meaning in the Trustee Act; or(b)an entity (other than a partnership, limited partnership, or company) created outside Kenya that has legal characteristics substantially similar to those of a trust settled or created in Kenya;"trustee" means a person recognized as trustee under the Trustee Act and includes a person who owes a fiduciary responsibility to an entity treated as a trust under paragraph (b) of the definition of "trust";"unpaid tax" means any tax that has not been paid by the due date or, if the Commissioner has extended the due date under section 33, the extended due date, and includes any late payment interest in respect of a tax liability;"value added tax" means valued added tax imposed under the Value Added Tax Act, (No. 35 of 2013); and"withholding tax" means tax that a person is required to withhold under the Income Tax Act or the Value Added Tax Act, (Cap. 167).(2)For the purposes of this Act, the following are related persons-(a)persons who are treated as related persons under section 13(8) of the Value Added Tax Act; or(b)an individual and a relative of the individual.(3)For the purposes of enforcement and collection of tax-(a)late payment interest, penalty, fines, or any other imposition under a tax law shall be treated as tax; and(b)the person liable for the amount specified in paragraph (a) shall be treated as a taxpayer.(4)When this Act applies in respect of a tax law, any term not defined in this Act has the meaning assigned in that tax law.Part II – ADMINISTRATION OF TAX LAWS
4. Functions and Powers of the Commissioner
5. Delegation
6. Confidentiality
7. Authorised Officers to have powers of police officers
For the purposes of administering a tax law, an authorised officer shall, in the performance of that officer's duties, have all the powers, rights, privileges and protection of a police officer.Part III – TAXPAYERS
8. Registration of taxpayers
9. Supply of information upon change in particulars
Every person carrying on a business shall, within thirty days of the occurrence of a change, notify the Commissioner of any changes—10. Deregistration
11. Personal identification number
The Commissioner shall issue a number, to be known as a personal identification number ("PIN"), to a person registered for the purposes of a tax law and that person shall use the PIN as may be required under this Act.12. Issue of a PIN
13. Use of a PIN
14. Cancellation of a PIN
15. Taxpayer's tax representative
16. Liabilities and obligations of tax representative
17. Duties of appointed person
18. Liability for tax payable by company
19. Application for tax agent licence
20. Licensing of tax agent
21. Limitation on the performance of tax services for taxpayer
22. Cancellation of tax agent's licence
Part IV – RECORD-KEEPING
23. Record-keeping
Part V – TAX RETURNS
24. Submission of tax returns
25. Extension of time to submit tax return
26. Commissioner may require taxpayer to submit a tax return
27. Tax return duly submitted
A tax return purported to have been submitted by or on behalf of a taxpayer by another person shall be treated as having been submitted by the taxpayer or with the taxpayer's authority unless the contrary is proved.Part VI – TAX ASSESSMENTS
28. Self-assessment
29. Default assessment
30. Advance assessment
31. Amendment of assessment
Part VII – COLLECTION AND RECOVERY OF TAX AND REFUND OF TAX
32. Tax as a debt due to the State
33. Extension of time to pay tax
34. Priority of tax
35. Order of payment
36. Security for payment of Tax
The Commissioner may, for the purposes of securing the payment of any tax due or which shall become due, require a person to furnish a security in such manner and in such amount as the Commissioner may prescribe.37. Relief because of doubt or difficulty in recovery of tax
38. Late payment interest
39. Recovery of unpaid tax by suit
40. Security on property for unpaid tax
41. Distress orders
42. Power to collect tax from a person owing money to a taxpayer
43. Preservation of funds
44. Seizure and forfeiture of goods
45. Departure prohibition order
46. Transferred tax liabilities
47. Refund of overpaid tax
48. Erroneous refund of tax
Part VIII – TAX DECISIONS, OBJECTIONS AND APPEALS
49. Statement of reason
Where the Commissioner has refused an application under a tax law, the notice of refusal shall include a statement of reasons for the refusal.50. Conclusiveness of tax decisions
51. Objection to tax decision
52. Appeal of appealable decisions to the Tribunal
53. Appeal to High Court
A party to proceedings before the Tribunal who is dissatisfied with the decision of the Tribunal in relation to an appealable decision may, within thirty days of being notified of the decision or within such further period as the High Court may allow, appeal the decision to the High Court in accordance with the provisions of the Tax Appeals Tribunal Act, (No. 40 of 2013).54. Appeal to Court of Appeal
A party to proceedings before the High Court who is dissatisfied with the decision of the High Court in relation to an appealable decision may, within thirty days of being notified of the decision or within such further period as the Court of Appeal may allow, appeal the decision to the Court of Appeal.55. Settlement of dispute out of Court or Tribunal
56. General provisions relating to objections and appeals
57. Admissibility of evidence
Notwithstanding anything to the contrary in any other written law-Part IX – ENFORCEMENT
58. Power to inspect goods, records etc.
59. Production of records
60. Power of search and seize
61. Notice to appear before the Commissioner
Where the Commissioner is satisfied that a person has committed an offense under a tax law, the Commissioner may, by notice in writing, require the person to appear before him.Part X – RULINGS
62. Binding public rulings
63. Making a public ruling
64. Withdrawal of a public ruling
65. Binding private ruling
66. Refusing an application for a private ruling
67. Making a private ruling
68. Withdrawal of a private ruling
69. Publication of private ruling
Part XI – COMMUNICATIONS, FORMS AND NOTICES
70. Official languages
The official languages of Kenya shall be the official languages of the tax laws and the Commissioner may refuse to recognize any communication or document that is not in an official language.71. Prescribed form
72. Tax compliance certificate
73. Manner of submitting documents to the Commissioner
74. Service of notices by the Commissioner
75. Application of electronic tax system
76. Admissibility of documents produced electronically
In any proceedings under this Act, a statement contained in a document in electronic form shall be admissible as evidence of any fact stated in that document if the document is produced in the manner prescribed by this Act or any other tax law.77. Due date for submission and payment
If the date for —78. Defect not to affect validity of tax assessments or other documents
79. Rectification of mistakes
When a notice of an assessment or other document served by the Commissioner under a tax law contains a mistake that is apparent from the record and the mistake does not involve a dispute as to the interpretation of the law or facts of the case, the Commissioner may, for the purposes of rectifying the mistake, amend the assessment or document any time before the expiry of five years of the date of service of the notice of the assessment or other document.Part XII – ADMINISTRATIVE PENALTIES AND OFFENCES
80. General provisions relating to administrative penalties and offences
81. Penalties relating to registration or licensing
82. Penalty for failing to keep documents
83. Late submission penalty
84. Tax shortfall penalty
85. Tax avoidance penalty
If the Commissioner has applied a tax avoidance provision in assessing a taxpayer, the taxpayer is liable for a tax avoidance penalty equal to double the amount of the tax that would have been avoided but for the application of the tax avoidance provision.86. Penalty for failing to comply with electronic tax system
87. Penalties for failure to appear before the Commissioner
Any person who fails to appear before the Commissioner pursuant to a notice issued by Commissioner under section 61 shall be liable to a penalty of —88. Penalty in relation to fraudulent claim for refund
A person who fraudulently makes a claim for a refund of tax shall be liable to pay a penalty of an amount equal to two times the amount of the claim.89. General provisions relating to penalty
90. Offences relating to registration or licensing
91. Offences relating to PINs
92. Offences by tax agent
A tax agent shall have committed an offence when the tax agent —93. Failure to maintain documents
94. Failure to submit tax returns or other document
95. Failure to pay tax
A person commits an offence if that person fails to pay tax by the due date.96. False or misleading statements
97. Fraud in relation to tax
Any person who, in relation to a tax period, knowingly-98. Offences relating to recovery of tax
99. Offences relating to enforcement powers
100. Obstruction of authorised officer
A person commits an offence if the person hinders or obstructs the Commissioner or an authorised officer in the performance of the Commissioner's or authorised officer's duties under a tax law.101. Aiding or abetting an offence
A person commits an offence if that person aids, abets, assists, incites or induces another person to commit an offence under a tax law (referred to as the "principal offence") and that person shall be liable for the same sanction as imposed for the principal offence.102. Offences by officers and staff of the Authority
103. Offences by employees agents and companies
104. Sanctions for offences
105. Payment of tax on conviction
Where a person is convicted of an offence under a tax law and for which taxes were not paid the court may order the convicted person to make payment to the Commissioner of the whole or such part as remains unpaid either in addition to, or in substitution of, any other penalty106. Jurisdiction to try cases
107. Authorised officer may appear on prosecution
108. Tax to be paid despite prosecution
The amount of any tax or late payment interest due and payable under a tax law shall not be abated by the prosecution of a taxpayer for an offence under a tax law.109. Power of the Commissioner to compound offences
Part XIII – MISCELLANEOUS PROVISONS
110. Consequential amendments
The Income Tax Act (Cap. 470) and the Value Added Tax Act, (No. 35 of 2013), are amended as specified in the Second schedule.111. Protection of officers
No officer shall be personally liable for any act or omission done or committed in the performance of his or her functions under a tax law unless, having regard to the circumstances of the case, such act or omission is found to be-112. Regulations
113. Transitional and saving
History of this document
27 December 2024
01 September 2023
Amended by
Finance Act, 2023
Read this version
01 July 2023
Amended by
Finance Act, 2023
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31 December 2022
Revised by
24th Annual Supplement
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01 July 2022
Amended by
Finance Act, 2022
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01 January 2022
Amended by
Finance Act, 2021
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01 July 2021
Amended by
Finance Act, 2021
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01 January 2021
Amended by
Finance Act, 2020
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25 April 2020
Amended by
Tax Laws (Amendment) Act, 2020
Read this version
07 November 2019
Amended by
Finance Act, 2019
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01 October 2018
Amended by
Finance Act, 2018
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01 July 2018
Amended by
Finance Act, 2018
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01 January 2018
Amended by
Finance Act, 2017
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03 April 2017
Amended by
Finance Act, 2017
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01 January 2017
Amended by
Finance Act, 2016
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01 July 2016
Amended by
Finance Act, 2016
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09 June 2016
Amended by
Finance Act, 2016
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19 January 2016
24 December 2015 this version
15 December 2015
Assented to
Cited documents 24
Act 23
1. | Land Registration Act | 6426 citations |
2. | Land Act | 4070 citations |
3. | Companies Act | 1732 citations |
4. | Kenya Revenue Authority Act | 1287 citations |
5. | Tax Appeals Tribunal Act | 988 citations |
6. | Income Tax Act | 868 citations |
7. | Public Finance Management Act | 766 citations |
8. | Value Added Tax Act | 550 citations |
9. | Proceeds of Crime and Anti-Money Laundering Act | 351 citations |
10. | Office of the Director of Public Prosecutions Act | 244 citations |
Legal Notice 1
1. | The Civil Aviation (Communication Procedures) Regulations | 3 citations |
Documents citing this one 1461
Judgment 1431
Act 8
1. | Kenya Revenue Authority Act | 1287 citations |
2. | Tax Appeals Tribunal Act | 988 citations |
3. | Income Tax Act | 868 citations |
4. | Value Added Tax Act | 550 citations |
5. | Statutory Instruments Act | 241 citations |
6. | Excise Duty Act | 152 citations |
7. | Betting, Lotteries and Gaming Act | 32 citations |
8. | Miscellaneous Fees and Levies Act | 29 citations |
Bench Bulletin 8
Legal Notice 8
Bill 6
1. | The Finance Bill, 2023 | 1 citation |
2. | The Finance Bill, 2024 | 1 citation |
3. | The Finance Bill, 2018 | |
4. | The Finance Bill, 2019 | |
5. | The Finance Bill, 2022 | |
6. | The Tax Laws (Amendment) Bill, 2020 |
Subsidiary legislation
Title
|
|
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The Tax Procedures (Electronic Tax Invoice) Regulations | Legal Notice 64 of 2024 |
Tax Procedures (Electronic Tax Invoice) Regulations, 2023 | Legal Notice 225 of 2023 |
The Tax Procedures (Common Reporting Standards) Regulations | Legal Notice 8 of 2023 |
The Tax Procedures (Settlement of Tax Disputes Out of Court or Tribunal) Regulations | Legal Notice 123 of 2020 |
The Tax Procedures (Unassembled Motorcycles) Regulations | Legal Notice 112 of 2020 |
The Tax Procedures (Tax Agents) Regulations | Legal Notice 111 of 2020 |
The Tax Procedures (Unassembled Motor Vehicles and Trailers) Regulations | Legal Notice 84 of 2019 |
The Tax Procedures (Tax Agents) Regulations | Legal Notice 138 of 2018 |