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Taxpayer loses VAT case
- DLA Cliffe Dekker Hofmeyr
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- South Africa
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- March 12 2010
In the case of TCT Leisure (Pty) Ltd v CSARS 2010 ZASCA (delivered 12 March 2010), the court had to deal with the question of whether the supply of preference shares together with certain occupation rights was an exempt supply in terms of the Vat Act
Modest salary, significant loans
- DLA Cliffe Dekker Hofmeyr
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- South Africa
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- October 22 2010
In a recent New Zealand High Court judgment, Krukziener v CIR 2010 NZHC 1714 (17 September 2010), the court held that an arrangement whereby a property developer and investor drew a modest salary but had significant loans accounts with the trusts and companies forming part of the group constituted tax avoidance, at least in the sense of deferring the tax obligation
Commercial property: don’t max your tax
- DLA Cliffe Dekker Hofmeyr
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- South Africa
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- August 13 2010
It appears as if people are now again starting to invest with confidence in commercial immovable property
Tax relief for transfer of a residential property
- DLA Cliffe Dekker Hofmeyr
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- South Africa
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- July 10 2010
Taxpayers will have until 30 September 2010 to transfer a primary residence from a company or trust under current rules without having to liquidate, wind up or deregister the company or trust in terms of proposed new income tax rules
The abolishment of stamp duty - the effects on early termination of leases of immovable property
- DLA Cliffe Dekker Hofmeyr
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- South Africa
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- January 29 2010
The Stamp Duties Act 77 of 1968 (the Act) was abolished with effect 1 April 2009, in an effort to simplify the tax system
Significant implications for variable loan stock companies
- DLA Cliffe Dekker Hofmeyr
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- South Africa
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- June 13 2011
Whether it is intended or not, is not clear, but the Draft Taxation Laws Amendment Bill, 2011 (the Draft Bill) has proposed certain amendments to the Income Tax Act No
The unintended consequences of Section 12N
- ENS - Edward Nathan Sonnenbergs
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- South Africa
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- May 30 2011
Prior to the introduction of section 12N, section 11(g) of the Act regulated any deductions related to leasehold improvements
Tax-free transfer of residential property
- DLA Cliffe Dekker Hofmeyr
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- South Africa
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- June 24 2011
If you own residential immovable property through a trust, company or close corporation (CC) you should really think about transferring the property into your own name
Tax relief for transfer of a residential property
- DLA Cliffe Dekker Hofmeyr
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- South Africa
- -
- November 22 2011
Is your house in a company, close corporation (CC) or trust?
Realisation companies a new take on an established concept
- ENS - Edward Nathan Sonnenbergs
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- South Africa
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- June 15 2011
A realisation company is a company which is generally formed with the purpose of facilitating the realisation of properties which are usually transferred to it from a group company
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