Beta Version
Website Last updated:
July 17, 2026
Article 171 allows taxpayers to escalate disputes to the Primary Court (composed of three judges) within forty-five days of a Committee's grievance decision. If no suit is filed, the Committee's decision becomes final. Crucially, filing a suit does not suspend tax payment. The Court is limited to considering only those claims previously raised before the Committee. This provision marks the transition from quasi-judicial review to formal judicial litigation. Notably, the Law explicitly prohibits any conciliation or arbitration in Omani tax disputes, making the court system the final arbiter for contested liabilities.
Article 171
Continue Reading
Access Full Content
You're viewing a preview of this document. Please log in to unlock the complete content, annotations, and research tools.Click here to view details of the free plan and the subscriptions we offer.