The sale of an entity as a going concern has a number of tax consequences for both the purchaser and the seller. The tax deductibility of a contingent liability upon its transfer from the seller to the purchaser, where the selling price has been reduced by the value of the contingent liabilities transferred, remains uncertain following the decision in Ackermans Ltd v Commissioner for the South African Revenue Service. An expense is either deductible under a specific section of the Income Tax Act, 58 of 1962, or under the general expense provisions in terms of sections 11(a) and 23(g). The Act does not contain a specific section relating to contingent liabilities and therefore a contingent liability will need to be considered for deduction u...
As the burden borne by the South African taxpayer seems to increase yearly, the prudent taxpayer mus...
Thesis (MCom (South African and International Taxation))--North-West University, Potchefstroom Campu...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
The sale of an entity as a going concern has a number of tax consequences for both the purchaser and...
Includes bibliographical references.The debate around the deductibility of transferred contingent li...
A research report submitted to the Faculty of Commerce, Law and Management, University of the Witwat...
The proper tax treatment of the assumption of deductible and nondeductible contingent liabilities\u2...
Includes summary.Includes bibliographical references (leaves 55-57).The selling of a business as a g...
Thesis (M.Com.)-University of KwaZulu-Natal, 2004.For any expenditure to qualify as a deduction agai...
Currently, there are two ways to structure the sale of a business. The first is the sale of the owne...
The deduction of interest expenditure, for the purpose of calculating the South African taxable inco...
A research report submitted to the Faculty of Commerce, Law and Management, University of the Witwat...
Real rates of income tax in South Africa are extremely high, to such an extent that taxpayers are co...
Plaintiff sold all the assets used in its business, in the middle of a fiscal year, at a price in ex...
Abstract : Stockbroking entities hold shares as trading stock rather than as capital assets. Shares ...
As the burden borne by the South African taxpayer seems to increase yearly, the prudent taxpayer mus...
Thesis (MCom (South African and International Taxation))--North-West University, Potchefstroom Campu...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
The sale of an entity as a going concern has a number of tax consequences for both the purchaser and...
Includes bibliographical references.The debate around the deductibility of transferred contingent li...
A research report submitted to the Faculty of Commerce, Law and Management, University of the Witwat...
The proper tax treatment of the assumption of deductible and nondeductible contingent liabilities\u2...
Includes summary.Includes bibliographical references (leaves 55-57).The selling of a business as a g...
Thesis (M.Com.)-University of KwaZulu-Natal, 2004.For any expenditure to qualify as a deduction agai...
Currently, there are two ways to structure the sale of a business. The first is the sale of the owne...
The deduction of interest expenditure, for the purpose of calculating the South African taxable inco...
A research report submitted to the Faculty of Commerce, Law and Management, University of the Witwat...
Real rates of income tax in South Africa are extremely high, to such an extent that taxpayers are co...
Plaintiff sold all the assets used in its business, in the middle of a fiscal year, at a price in ex...
Abstract : Stockbroking entities hold shares as trading stock rather than as capital assets. Shares ...
As the burden borne by the South African taxpayer seems to increase yearly, the prudent taxpayer mus...
Thesis (MCom (South African and International Taxation))--North-West University, Potchefstroom Campu...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...