Background: The Organisation for Economic Cooperation and Development (OECD) made a number of recommendations in relation to interest deduction limitations as part of the Base Erosion and Profit Shifting (BEPS) project. In 2016 the South African National Treasury indicated that the interest deduction limitations contained in the Income Tax Act would be reviewed in the light of these recommendations. Aim: This paper aimed to describe funding structures of companies in South Africa liable for tax and how this relates to other characteristics, including ownership, of the companies. Setting: The research was performed using data from tax returns submitted by companies liable for income tax in South Africa. Methods: This paper report...
Most tax treaties (including South Africa's) are based on the OECD Model Tax Convention on Income an...
Section 59(1) of the Competition Act, 89 of 1998 authorises the Competition Tribunal to impose admin...
Abstract: In recent years, there have been reports in the global media on how Multinational enterpri...
The erosion of the tax fiscus as a result of excessive interest deductions and the shifting of the ...
MCom (South African and International Tax), North-West University, Potchefstroom Campus, 2017The abi...
Transfer pricing has become a very popular term in South Africa over the last few years, even more s...
Summary: In Part 2 of this article, the author continues her examination of the implications of the ...
This research examined the concept of base erosion and profit shifting in the context of tax schemes...
This paper considers what Africa’s response should be to the OECD’s base erosion and profit shifting...
Thesis (MCom (South African and International Taxation))--North-West University, Potchefstroom Campu...
MCom (South African and International Taxation), North-West University, Potchefstroom Campus, 2020In...
MCom (South African and International Tax), North-West University, Potchefstroom Campus, 2015Base er...
PhD (Tax), North-West University, Potchefstroom Campus, 2014Globalisation of trade and investment ha...
Base erosion and profit shifting are a growing international concern, that was again ushered to the ...
Debt and equity are in most countries treated differently for taxing purposes. The asymmetry between...
Most tax treaties (including South Africa's) are based on the OECD Model Tax Convention on Income an...
Section 59(1) of the Competition Act, 89 of 1998 authorises the Competition Tribunal to impose admin...
Abstract: In recent years, there have been reports in the global media on how Multinational enterpri...
The erosion of the tax fiscus as a result of excessive interest deductions and the shifting of the ...
MCom (South African and International Tax), North-West University, Potchefstroom Campus, 2017The abi...
Transfer pricing has become a very popular term in South Africa over the last few years, even more s...
Summary: In Part 2 of this article, the author continues her examination of the implications of the ...
This research examined the concept of base erosion and profit shifting in the context of tax schemes...
This paper considers what Africa’s response should be to the OECD’s base erosion and profit shifting...
Thesis (MCom (South African and International Taxation))--North-West University, Potchefstroom Campu...
MCom (South African and International Taxation), North-West University, Potchefstroom Campus, 2020In...
MCom (South African and International Tax), North-West University, Potchefstroom Campus, 2015Base er...
PhD (Tax), North-West University, Potchefstroom Campus, 2014Globalisation of trade and investment ha...
Base erosion and profit shifting are a growing international concern, that was again ushered to the ...
Debt and equity are in most countries treated differently for taxing purposes. The asymmetry between...
Most tax treaties (including South Africa's) are based on the OECD Model Tax Convention on Income an...
Section 59(1) of the Competition Act, 89 of 1998 authorises the Competition Tribunal to impose admin...
Abstract: In recent years, there have been reports in the global media on how Multinational enterpri...