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In the case of JM Ah Chong & Co Ltd v CIR (1969) WSLR explain how the Appeal Court decided on what the Commissioner considered
In the case of JM Ah Chong & Co Ltd v CIR (1969) WSLR explain how the Appeal Court decided on what the Commissioner considered excessive remuneration would be treated as dividends? Would you call this a potential type of scheme to avoid tax? Why? Discuss
note
the case can be found on google
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