Geporge Kashindi Beta
Read this first — limitations.
- Patterns reflect published decisions only.
- This is not an assessment of private character, integrity or bias.
- Outcome distributions are per case-type and not comparable across courts/years.
- Based on 2 decision(s); small samples are indicative only.
- Name normalization is automatic and may merge or split judges incorrectly.
Main subject areas
Activity
Published decisions from 2024 to 2024; busiest year 2024 (2 decisions).
Documented outcomes by case type
- Tax Appeal: The Appellant was granted leave to amend its Memorandum of A (1); Appeal dismissed, objection decision upheld (1)
Counts are per published decision as classified by AI; not comparable across courts or years.
Most-cited legislation
- Evidence Act (1)
Writing characteristics
- Too few decisions to characterize writing structure
Remedy patterns
- Granting leave to amend the Memorandum of Appeal and Statement of Facts with the proposed additional documents. (1)
Sample decisions
Toyo Construction Limited v Commissioner of Domestic Taxes (Tribunal Appeal E604 of 2023) [2024] KETAT 1291 (KLR) (23 August 2024) (Ruling)
Tax Appeals Tribunal · [2024] KETAT 1291 (KLR) · 23 August 2024
Kilimapesa Gold (PTY) Ltd v Commissioner for Domestic Taxes (Tax Appeal E390 of 2023) [2024] KETAT 1312 (KLR) (Civ) (26 July 2024) (Judgment)
Tax Appeals Tribunal · [2024] KETAT 1312 (KLR) · 26 July 2024