The question whether or not income which is received by a taxpayer in the course of carrying on illegal activities should be regarded as being received by or accrued to such taxpayer for purposes of assessing such person’s gross income has been an object of debate, both in South Africa and abroad. A recent case on this topic, ITC 1789 (67 SATC 205), which will be discussed hereunder, once again highlighted the uncertain treatment of illegal income for purposes of income tax. The case concerned the inclusion of proceeds from a pyramid scheme, deposits as well as commissions, as gross income in the hands of the scheme perpetrators. Although thisdiscussion will focus on the said case, the history of cases that have dealt with the concept of “b...
The two “pillars” on which taxable income is based are the definition of “gross income” in section 1...
Tax evasion and avoidance costs South Africa billions of rand each year. This treatise examines the ...
This article analyses the interpretation of the phrase “received by, accrued to or in favour of†...
MCom (South African and International Tax), North-West University, Potchefstroom Campus, 2015The Sou...
LL.M. University of KwaZulu-Natal, Pietermaritzburg 2016.This dissertation is a comparative analysis...
Income Tax in South Africa is levied in terms of the Income Tax Act 58 of 1962 on taxable income, wh...
Abstract: The question of whether income generated from illegal activities should be subject to tax,...
Moneymaking schemes such as prostitution, drug dealing, fraud, corruption, pyramid schemes and the s...
The taxation of income from illegal activities is well established in several common law jurisdictio...
In the case of MP Finance Group CC (In Liquidation) v CSARS the High Court of Appeal ruled that inco...
In South Africa, income tax is levied in terms of the Income Tax Act, 58 of 1962, and the calculatio...
Summary This article focuses on the analysis of the issue whether income from illegal activity shoul...
This article analyses the interpretation of the phrase “received by, accrued to or in favour of” in ...
The taxation of illegal income is quite common in many foreign countries, but this practice is not y...
The activities of gamblers and other illegal operators have received considerable public notice rece...
The two “pillars” on which taxable income is based are the definition of “gross income” in section 1...
Tax evasion and avoidance costs South Africa billions of rand each year. This treatise examines the ...
This article analyses the interpretation of the phrase “received by, accrued to or in favour of†...
MCom (South African and International Tax), North-West University, Potchefstroom Campus, 2015The Sou...
LL.M. University of KwaZulu-Natal, Pietermaritzburg 2016.This dissertation is a comparative analysis...
Income Tax in South Africa is levied in terms of the Income Tax Act 58 of 1962 on taxable income, wh...
Abstract: The question of whether income generated from illegal activities should be subject to tax,...
Moneymaking schemes such as prostitution, drug dealing, fraud, corruption, pyramid schemes and the s...
The taxation of income from illegal activities is well established in several common law jurisdictio...
In the case of MP Finance Group CC (In Liquidation) v CSARS the High Court of Appeal ruled that inco...
In South Africa, income tax is levied in terms of the Income Tax Act, 58 of 1962, and the calculatio...
Summary This article focuses on the analysis of the issue whether income from illegal activity shoul...
This article analyses the interpretation of the phrase “received by, accrued to or in favour of” in ...
The taxation of illegal income is quite common in many foreign countries, but this practice is not y...
The activities of gamblers and other illegal operators have received considerable public notice rece...
The two “pillars” on which taxable income is based are the definition of “gross income” in section 1...
Tax evasion and avoidance costs South Africa billions of rand each year. This treatise examines the ...
This article analyses the interpretation of the phrase “received by, accrued to or in favour of†...