Menu
  • Locations
  • About Us
  • Services
  • Experts
  • News & Knowledge
  • Hot Topics
  • Culture & Career
  • Locations
  • Search
  • Press
  • Events & Webinars
  • CI Guide
  • Contact
  • Albania
  • Angola
  • Argentina
  • Armenia
  • Australia
  • Austria
  • Bangladesh
  • Belgium
  • Benin
  • Bolivia
  • Bosnia & Herzegovina
  • Botswana
  • Brazil
  • Bulgaria
  • Burkina Faso
  • Burundi
  • Cambodia
  • Cameroon
  • Canada
  • Chile
  • China
  • Colombia
  • Costa Rica
  • Croatia
  • Cyprus
  • Czech Republic
  • Denmark
  • Dominican Republic
  • Ecuador
  • Egypt
  • El Salvador
  • Estonia
  • Finland
  • France
  • Georgia
  • Germany
  • Ghana
  • Gibraltar
  • Greece
  • Guatemala
  • Guinea
  • Honduras
  • Hong Kong
  • Hungary
  • Iceland
  • India
  • Indonesia
  • Iran
  • Iraq
  • Ireland
  • Israel
  • Italy
  • Ivory Coast
  • Japan
  • Kazakhstan
  • Kenya
  • Korea
  • Kyrgyzstan
  • Laos
  • Latvia
  • Lithuania
  • Luxembourg
  • Macao
  • Madagascar
  • Malaysia
  • Mali
  • Malta
  • Mauritius
  • Mexico
  • Moldova
  • Mongolia
  • Montenegro
  • Morocco
  • Mozambique
  • Myanmar
  • Namibia
  • Nepal
  • Netherlands
  • New Zealand
  • Niger
  • Nigeria
  • North Macedonia
  • Norway
  • Pakistan
  • Panama
  • Paraguay
  • Peru
  • Philippines
  • Poland
  • Portugal
  • Puerto Rico
  • Romania
  • Rwanda
  • Saudi Arabia
  • Senegal
  • Serbia
  • Seychelles
  • Singapore
  • Slovakia
  • Slovenia
  • South Africa
  • Spain
  • Sri Lanka
  • Sweden
  • Switzerland
  • Taiwan
  • Tanzania
  • Thailand
  • Togo
  • Trinidad and Tobago
  • Tunisia
  • Turkey
  • Turkmenistan
  • Uganda
  • Ukraine
  • United Arab Emirates
  • United Kingdom
  • Uruguay
  • USA
  • Uzbekistan
  • Venezuela
  • Vietnam
  • Zambia
  • About Us
  • Our CEO
  • Our Supervisory Board
  • Our Global Executive Team
  • Quality, Process & Risk Management
  • Sustainability & Tax at WTS Global
  • Customs
  • Financial Services
  • Global Mobility
  • Indirect Tax
  • International Corporate Tax
  • Mergers & Acquisitions (M&A)
  • Private Clients & Family Office
  • Sustainability & Tax
  • Tax Certainty & Controversy
  • Tax Technology
  • Transfer Pricing & Valuation
  • Real Estate
  • Digital Tax Law
  • European Tax Law
  • Latest News
  • Brochures
  • Newsletters
  • Surveys & Studies
  • Pillar Two
  • FIT for CBAM
  • Tax Sustainability Index
  • ViDA - VAT in the Digital Age
  • EU WHT Reclaims
  • AI playground
  • Culture and Leadership
  • Diversity
  • WTS Global Academy
  • Career
  • Pillar Two Team
  • Pillar Two - Implementation Status Wordwide
  • Press
  • Events & Webinars
  • CI Guide
  • Contact
WTS worldwide
  • Albania
  • Algeria
  • Angola
  • Argentina
  • Armenia
  • Australia
  • Austria
  • Bangladesh
  • Belgium
  • Benin
  • Bolivia
  • Bosnia & Herzegovina
  • Botswana
  • Brazil
  • Bulgaria
  • Burkina Faso
  • Burundi
  • Cambodia
  • Cameroon
  • Canada
  • Cape Verde
  • Central African Republic
  • Chad
  • Chile
  • China
  • Colombia
  • Congo Brazzaville
  • Costa Rica
  • Croatia
  • Cyprus
  • Czech Republic
  • Democratic Republic of Congo
  • Denmark
  • Dominican Republic
  • Ecuador
  • Egypt
  • El Salvador
  • Equatorial Guinea
  • Estonia
  • Eswatini
  • Ethiopia
  • Finland
  • France
  • Gabon
  • Gambia
  • Georgia
  • Germany
  • Ghana
  • Gibraltar
  • Greece
  • Guatemala
  • Guinea
  • Guinea-Bissau
  • Honduras
  • Hong Kong
  • Hungary
  • Iceland
  • India
  • Indonesia
  • Iran
  • Iraq
  • Ireland
  • Israel
  • Italy
  • Ivory Coast
  • Japan
  • Kazakhstan
  • Kenya
  • Korea
  • Kyrgyzstan
  • Laos
  • Latvia
  • Liberia
  • Libya
  • Lithuania
  • Luxembourg
  • Macao
  • Madagascar
  • Malawi
  • Malaysia
  • Mali
  • Malta
  • Mauritania
  • Mauritius
  • Mexico
  • Moldova
  • Mongolia
  • Montenegro
  • Morocco
  • Mozambique
  • Myanmar
  • Namibia
  • Nepal
  • Netherlands
  • New Zealand
  • Niger
  • Nigeria
  • North Macedonia
  • Norway
  • Pakistan
  • Panama
  • Paraguay
  • Peru
  • Philippines
  • Poland
  • Portugal
  • Puerto Rico
  • Romania
  • Rwanda
  • São Tomé and Príncipe
  • Saudi Arabia
  • Senegal
  • Serbia
  • Sierra Leone
  • Singapore
  • Slovakia
  • Slovenia
  • Somalia
  • South Africa
  • South Sudan
  • Spain
  • Sri Lanka
  • Sudan
  • Sweden
  • Switzerland
  • Taiwan
  • Tanzania
  • Thailand
  • Togo
  • Trinidad and Tobago
  • Tunisia
  • Turkey
  • Turkmenistan
  • Uganda
  • Ukraine
  • United Arab Emirates
  • United Kingdom
  • Uruguay
  • USA
  • Uzbekistan
  • Venezuela
  • Vietnam
  • Zambia
  • Zimbabwe
  • About Us
    About Us

    Here you will find more information on our organization’s structure, experts and global reach.

    Read more
    About Us Our CEO Our Supervisory Board Our Global Executive Team Quality, Process & Risk Management
    Sustainability & Tax at WTS Global
  • Services
    Services

    Learn more about our network partners and their services.

    Read more
    Customs Financial Services Global Mobility Indirect Tax International Corporate Tax
    Mergers & Acquisitions (M&A) Private Clients & Family Office Sustainability & Tax Tax Certainty & Controversy Tax Technology
    Transfer Pricing & Valuation Real Estate Digital Tax Law European Tax Law
  • Experts
    Experts

    With a representation in over 100 countries, our team offers local expertise on a global scale. Learn more about our experts.

    Read more
  • News & Knowledge
    News & Knowledge

    Welcome to WTS Global Insights. Here you will find news and updates from our worldwide network.

    Read more Newsletter Subscription
    Latest News Brochures Newsletters Surveys & Studies
  • Hot Topics
    Hot Topics

    Overview of the current "Hot Topics" in the tax industry and how we can support with individual questions.

    Read more
    Pillar Two FIT for CBAM Tax Sustainability Index ViDA - VAT in the Digital Age EU WHT Reclaims
    AI playground
  • Culture & Career
    Culture & Career
    Read more
    Culture and Leadership Diversity WTS Global Academy Career
  • Locations
  • Search
11.04.2024

Kenya: Evolving Tax Landscape for PE and VC Funds

Recent tax determinations taken by the Tax Appeals Tribunal (TAT/Tribunal) have caused some disquiet within the PE and VC sector in Kenya.  In particular, the TAT, in ECP Kenya Limited v Kenya Revenue Authority, Tax Appeal No.335 of 2022 made determinations that are quite concerning for stakeholders in the sector.  We highlight some of the implications of the judgment, below.

a. Gains made by Funds are subject to Corporate Income Tax (CIT) rather than Capital Gains Tax (CGT)

The Tribunal in the ECP case agreed with the Kenya Revenue Authority’s (KRA) assessment and found that the gains made by ECP (a PE Fund structured out of Mauritius) on its exit from Java House Mauritius Ltd (Java House Mauritius Ltd has its operating companies in Kenya) were subject to CIT for each year of income rather than CGT.  Essentially, this means that the activities of PE Funds such as ECP would be viewed as trading activities subject to CIT rather than investment activities subject to CGT. 

b. Determination of Residency or Permanent Establishment

In its evaluation, the TAT determined that the ECP Fund in question had established a permanent establishment in Kenya and was therefore subject to CIT in Kenya on its worldwide trading/business income.  In reaching its decision the Tribunal made an error of fact that the ECP Fund Manager carried on business in Kenya through its local advisor ECP Kenya Limited. 

The Tribunal was of the view that the pre and post deal services provided by ECP Kenya Limited to the ECP Fund Manager were sufficient to reach a finding that the ECP Fund Manager had a permanent establishment in Kenya.  To link the outcome on the Fund Manager to the Fund, the Tribunal found that the ECP Fund Manager exercised discretionary control over the Fund.

Consequently, the TAT found that by virtue of the Fund Manager exercising discretionary control over the Fund and such control being exercised out of Kenya through the local advisory team, this had created a presence for the Fund Manager in Kenya.  Hence, a portion of the sale proceeds from the Java transaction should have been taxed in Kenya.  ECP Fund Manager’s income accruing from Kenya would thus be subjected to CIT for each year of income.  

Conclusion

This case and the interpretation accorded by the TAT puts into question many of the structures currently adopted by the PE and VC sector in Kenya, as the ring-fencing between the Fund, the Fund Manager and the local advisor is ordinarily informed by legal, financing, and commercial necessities based on international best practice. 

We understand that this matter is being appealed in the High Court of Kenya.

If you wish to discuss these topics, please contact:

Viva Africa Consulting LLP (WTS Kenya)

Article published in WTS Africa Quarterly Newsletter #2/2024
Recent tax developments in Africa
View publication
Articles you might be interested in

In this article, explore Kenya's growing economy, its favorable business environment, and the regulatory framework governing foreign exchange, highlighting key opportunities for investors in various sectors.

Kenya: Exchange Control Insights
Read more

Recent tax developments on the continent.

WTS Global Africa Regional Newsletter #2/2025 now available
Read more

Kenya's Significant Economic Presence Tax (SEPT) replaces the Digital Service Tax (DST) to better capture revenue from non-resident digital service providers, aiming to boost tax revenue but posing compliance challenges.

Kenya: Significant Economic Presence Tax - Kenya’s Digital Tax Revolution
Read more

Recent tax developments from nine countries on the continent.

WTS Global Africa Regional Newsletter #1/2025 now available
Read more

Corporate governance is key to organizational success, driving trust, transparency, and sustainability. In Kenya, frameworks like Mwongozo guide businesses, enhancing performance and aligning with global trends like ESG.

Kenya: Good Corporate Governance in the Kenyan Context
Read more

Recent tax developments from nine countries on the continent.

WTS Global Africa Regional Newsletter #4/2024 now available
Read more

On 1 July 2024, the EU-Kenya Economic Partnership Agreement (EPA) entered into force culminating negotiations towards an EU-Kenya Strategic Partnership.

Kenya: The EU-Kenya Economic Partnership Agreement
Read more

Recent tax developments from eight countries on the continent.

WTS Global Africa Regional Newsletter #3/2024 now available
Read more

The Kenya Revenue Authority (KRA) aimed to expand the definition of "royalty" in the Finance Bill, 2024, to include software payments, but the bill was rejected after protests. Despite this, KRA's proposal follows a High Court case and reflects ongoing debates over software taxation in Kenya.

Kenya: Taxation of Software
Read more

Recent tax determinations taken by the Tax Appeals Tribunal (TAT/Tribunal) have caused some disquiet within the PE and VC sector in Kenya.

Kenya: Evolving Tax Landscape for PE and VC Funds
Read more

Recent tax developments from eight countries on the continent.

WTS Global Africa Regional Newsletter #2/2024 now available
Read more

The High Court in Kenya delivered a judgement allowing an investment deduction in respect of capital expenditure incurred on the construction of a building and installation of machinery. The judgment is significant from the point of view of prospective application as well as construction of tax statutes. 

Kenya: High court upholds the tax appeals tribunal’s decision allowing an investment deduction claim and setting aside a withholding tax assessment
Read more

Recently, the issue of the corporate tax residency of companies incorporated outside Kenya has arisen, especially for multi-national enterprises with a business presence or related entities in Kenya.

Kenya: Corporate tax residency in Kenya
Read more

Kenya’s 2022 Finance Act amended various provisions of the income tax law.

Kenya: A Fundamental Shift in the Transfer Pricing Regime in Kenya
Read more

Traditionally, the government of Kenya has been introducing changes to tax laws every year, mainly through an annual finance act.

Kenya: National tax policy: a more certain future tax regime?
Read more

The remote working of employees has raised concerns regarding the creation of PE risks for their foreign employers in Kenya. 

Kenya: Virtual work – Tax considerations of the new normal
Read more

International trade in goods and services providing a significant tax base for revenue authorities

Kenya: Newsletter 21/2017 - What is reverse VAT?
Read more
Kenya: Newsletter 20/2017 - Is the relief provided for under Section 15(3)(b) of the Income Tax Act Mortgage relief
Read more
Kenya: Newsletter 19/2017 - What are the tax incentives attributable to a Special Economic Zone
Read more
Kenya: Newsletter 18/2017 - The Multilateral Tax Convention and Implications for Existing Tax Treaties-Volume III
Read more
Kenya: Newsletter 17/2017 - The Multilateral Tax Convention and Implications for Existing Tax Treaties-Volume II
Read more
Kenya: Newsletter 16/2017 - The Multilateral Tax Convention and Implications for Existing Tax Treaties-Volume I
Read more
Show more

Get in contact

If you have any questions about WTS Global or our global services, please get in touch.
We will respond to you as soon as possible.

Contact
About Us
  • About Us
  • Our CEO
  • Our Supervisory Board
  • Our Global Executive Team
  • Quality, Process & Risk Management
Services
  • Customs
  • Financial Services
  • Global Mobility
  • Indirect Tax
  • International Corporate Tax
  • Mergers & Acquisitions (M&A)
  • Private Clients & Family Office
  • Sustainability & Tax
  • Tax Certainty & Controversy
  • Tax Technology
  • Transfer Pricing & Valuation
Latest News
  • News & Knowledge
  • Brochures
  • Newsletters
  • Newsletter Subscription
  • Surveys & Studies
Hot Topics
  • Pillar Two
  • Digital Tax Law
  • European Tax Law
Culture & Career
Exclusive Cooperation With
© 2024 WTS Company Information Data Protection Disclaimer