Nigeria has announced a new 10% withholding tax on earnings from short-term securities such as treasury bills, corporate bonds, promissory notes, and bills of exchange — a major policy shift aimed at improving revenue generation and ensuring tax equity.
The Federal Inland Revenue Service (FIRS) issued the directive to banks, stockbrokers, and financial institutions, stating that the tax would be deducted at the point of payment.
The move ends years of tax exemption previously granted to short-term instruments to attract investors and boost returns.
According to FIRS Executive Chairman Zacch Adedeji, the new policy aligns with Nigeria’s broader effort to deepen fiscal fairness and compliance.
“All relevant interest-payers are required to comply with this circular to avoid penalties and interest as stipulated in the tax law,” Adedeji said in a statement.
He clarified that interest on federal government bonds remains exempt from the tax. The policy, he added, forms part of a strategy to enhance domestic revenue mobilization while ensuring accountability in tax administration.
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Although FIRS has not disclosed the projected revenue impact, analysts say the reform reflects a growing regional trend across Africa — where governments are tightening fiscal frameworks to reduce public debt and boost financial transparency amid global economic pressures.
At a recent capacity-building workshop for judges of the Supreme Court, Court of Appeal, and Federal High Court, Adedeji underscored the judiciary’s critical role in upholding tax fairness and fostering investor confidence.
“The judiciary, through its interpretative powers, remains the ultimate arbiter in maintaining the delicate balance between the legitimate powers of tax authorities and the rights of taxpayers,” he said.
Adedeji praised Nigeria’s judiciary for its “sound and consistent” rulings in tax-related cases, describing them as essential to a predictable investment climate.
He also pointed to the need for closer collaboration between tax authorities and courts in light of new fiscal laws such as the Finance Acts, the Petroleum Industry Act, and the evolving withholding tax policy.
He emphasized that prompt, well-grounded judicial resolutions of tax disputes help sustain compliance and contribute to overall economic stability. The FIRS, he noted, remains committed to continuous engagement and knowledge sharing with the judiciary.
As cross-border and digital transactions become more complex, Adedeji called for stronger judicial understanding of emerging fiscal issues, asserting that such collaboration would lead to “a fairer, more efficient tax system” across Nigeria and the continent.
Would you like me to turn this into a Forbes-style feature rewrite — with analysis on how this move positions Nigeria in Africa’s fiscal reform landscape?

