Sec. 63 of the Tax Administration Act 28 of 2011 (TAA) grants unto the South African Revenue Service (SARS) officials access to taxpayers’ private and confidential information through, first, searching a taxpayer’s person and premises without a warrant and, secondly, permitting the seizure of taxpayers’ possessions and communications. Part One of this article argues that the TAA is a “law of general application”, as envisaged by the so-called “limitation clause” contained in sec. 36(1) of the Constitution, 1996 and that – in terms of the threshold stage of analysis prescribed by this provision – the exercise of the powers conferred by secs. 63(1) and (4) limits a taxpayer’s constitutional right to privacy as entrenched in sec. 14 of the Con...
Includes bibliographical references.This dissertation endeavours to establish whether the Tax Admini...
There is tension between the South African Revenue Service’s duty to collect taxes on the one hand, ...
Thesis (M.Com.)-University of Durban-Westville, 2002.No abstract available.Pages 80 + 84 are missing
Sec. 63 of the Tax Administration Act 28 of 2011 (TAA) grants officials of the South African Revenue...
This contribution is an analysis of certain provisions of the Tax Administration Act 28 of 2011 (TAA...
Sections 45 and 63 of the Tax Administration Act 28 of 2011 (TAA) confer drastic information gatheri...
Sections 45 and 63 of the Tax Administration Act 28 of 2011 (TAA) confer drastic information gatheri...
M.Com.Abstract: The Commissioner for the South African Revenue Service (hereafter SARS Commissioner)...
The Tax Administration Act 28 of 2011 is a law of general application. Section 45 of the Act empower...
This treatise aimed to critically analyse a taxpayer’s rights relating to a request by SARS for rele...
It is trite that taxpayer information is confidential in South Africa, subject to a few narrow excep...
The secrecy provisions of the Tax Administration Act 28 of 2011 (hereinafter, the TA Act) provide th...
SARS has many powers afforded to it by tax legislation, this dissertation explores the history and d...
This study focuses on the South African Revenue Service’s (SARS) powers to request “relevant materia...
The constitutional right to privacy is enshrined in section 14 of the Constitution of the Republic ...
Includes bibliographical references.This dissertation endeavours to establish whether the Tax Admini...
There is tension between the South African Revenue Service’s duty to collect taxes on the one hand, ...
Thesis (M.Com.)-University of Durban-Westville, 2002.No abstract available.Pages 80 + 84 are missing
Sec. 63 of the Tax Administration Act 28 of 2011 (TAA) grants officials of the South African Revenue...
This contribution is an analysis of certain provisions of the Tax Administration Act 28 of 2011 (TAA...
Sections 45 and 63 of the Tax Administration Act 28 of 2011 (TAA) confer drastic information gatheri...
Sections 45 and 63 of the Tax Administration Act 28 of 2011 (TAA) confer drastic information gatheri...
M.Com.Abstract: The Commissioner for the South African Revenue Service (hereafter SARS Commissioner)...
The Tax Administration Act 28 of 2011 is a law of general application. Section 45 of the Act empower...
This treatise aimed to critically analyse a taxpayer’s rights relating to a request by SARS for rele...
It is trite that taxpayer information is confidential in South Africa, subject to a few narrow excep...
The secrecy provisions of the Tax Administration Act 28 of 2011 (hereinafter, the TA Act) provide th...
SARS has many powers afforded to it by tax legislation, this dissertation explores the history and d...
This study focuses on the South African Revenue Service’s (SARS) powers to request “relevant materia...
The constitutional right to privacy is enshrined in section 14 of the Constitution of the Republic ...
Includes bibliographical references.This dissertation endeavours to establish whether the Tax Admini...
There is tension between the South African Revenue Service’s duty to collect taxes on the one hand, ...
Thesis (M.Com.)-University of Durban-Westville, 2002.No abstract available.Pages 80 + 84 are missing