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Ruaraka Diversified Investments Ltd. v. Commissioner of Domestic Taxes

Whether the proceeds from the sale of land qualified as business profits subject to income tax or investment gains subject to CGT

Holding property for a period to allow its value to appreciate and subsequently selling it for profit constituted trade. Further, the sale was carried out in the ordinary course of the real estate company’s business and for the purpose of making a profit; accordingly, the proceeds from the sale of the land were subject to Corporation Tax rather than Capital Gains Tax.

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