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Noomadi Resorts Private Limited v MIRA
Filed Date: -
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Supreme Court
2020/SC-A/59
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Case appealed with regard to High Court case number 2017/HC-A/393
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Judgement passed
06 Jul 2022
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Judgement passed against MIRA
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Medianet Private Limited v MIRA
Filed Date: -
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Supreme Court
2020/SC-A/83
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Case appealed with regard to High Court's Judgment 2018/HC-A/422
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Judgement passed
04 Mar 2021
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Judgment passed against MIRA
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Bunny Holdings BVI Ltd v MIRA
Filed Date: -
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High Court
2020/HC-A-02/01
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Case reverted to High Court from Supreme Court number 2016/SC-A/25 case
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Judgement passed
16 Feb 2022
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Judgment passed against MIRA
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Vermillion International Private Limited v MIRA
Filed Date: -
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High Court
2022/HC-A/161
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Case Appealed with regard to Tax Appeal Tribunal's number TAT-CA-B/2020/002
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Case Ongoing
-
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Traders Hotel Male' Private Limited v MIRA
Filed Date: -
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High Court
2022/HC-A/192
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Executing the decision of Tax Appeal Tribunal's number TAT-CA-B/2020/001
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Case Ongoing
-
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Maldives Passions Private Limited v MIRA
Filed Date: -
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Supreme Court
2021/SC-A/112
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Case appealed with regard to High Court's decision no 2019/HC-A/339
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Judgement passed
12 Oct 2023
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Judgement passed in favor of MIRA.
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Ooredoo Maldives Public Limited v MIRA
Filed Date: -
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Civil Court
2611/Cv-C/2021
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Executing the decision of Tax Appeal Tribunal number TAT-CA-W/2015/001 and High Court judgment number 2019/HC-A/353
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Judgement passed
29 Sep 2021
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Case held in favor of appellant, ordering MIRA to pay the amount in the judgment to Civil Court.
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Mohamed Haleem v MIRA
Filed Date: -
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Civil Court
3130/Cv-C/2021
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Liquidation of the company
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Case Dismissed
07 Mar 2022
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Case dismissed as the claimant did not attend the hearing.
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Abdul Muhusin Moosa v MIRA
Filed Date: -
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Civil Court
3928/Cv-C/2021
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Claimed referring to an Audit decision of MIRA
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Case Dismissed
08 Jan 2024
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Case dismissed as claimant did not attend the hearing
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Ooredoo Maldives Public Limited v MIRA
Filed Date: -
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Civil Court
3968/Cv-C/2021
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Executing the decision of Tax Appeal Tribunal number TAT-CA-B/2019/008
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Judgement passed
10 Feb 2022
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The case was held in favor of MIRA where as per the judgement of the Tax Appeal Tribunal, MIRA has set-off the additional amount of tax paid by the taxpayer from the liability of the future tax periods per the section 74 (2) (2) of the Tax Administration Act and also has refunded the interest and fine paid by the taxpayer accordingly.
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