This contribution analyses the concept of a “permanent establishment” in South Africa in light of the digital economy, and intends to inspire law reform. The analysis critically analyses the meaning of “permanent establishment” as found in sections 1 and 9 of the South African Income Tax Act and in double-tax treaties concluded between South Africa and other countries. The article analyses whether the South African permanent establishment is sufficiently robust to deal with a virtual permanent establishment. The analysis found that the South African concept of a permanent establishment falls short of capturing permanent establishments created through digital means as a result of digital transformation. This is because the current permanent ...
The article aims to cover the issue of foreign entities having a “fixed establishment” in a given co...
The purpose of this paper is to present some challenges regarding the concepts “permanent establishm...
This article approaches to permanent establishment, the rules, and the taxation of electronic commer...
M.Com. (South African and International Taxation)The concept of permanent establishment (PE) is a fu...
The objective of this thesis was to analyse the effect of the increasing popularity of global e-comm...
It is a principle of International tax law that a country may not tax the business profits of a non-...
The advent of digitalisation has fundamentally shifted the manner in which the commercial world carr...
Abstract : The world has moved to a business environment of automated production driven by electroni...
The main object of the concept of the definition of a permanent establishment in a double tax agreem...
The subject of the article is the analysis of alternative concepts of permanent establishment in th...
The emergence and progression of the digital economy has distorted the core principles of internatio...
Maiden name: Venter, MichelleThe continued growth of world commerce has led to the advance of the pe...
This master thesis investigates the need for a new Permanent Establishment (PE) definition for digit...
The online purchase of digital goods has the propensity to generate tax liability involving a notabl...
The permanent establishment (PE) has always been of interest in the field of international taxes in ...
The article aims to cover the issue of foreign entities having a “fixed establishment” in a given co...
The purpose of this paper is to present some challenges regarding the concepts “permanent establishm...
This article approaches to permanent establishment, the rules, and the taxation of electronic commer...
M.Com. (South African and International Taxation)The concept of permanent establishment (PE) is a fu...
The objective of this thesis was to analyse the effect of the increasing popularity of global e-comm...
It is a principle of International tax law that a country may not tax the business profits of a non-...
The advent of digitalisation has fundamentally shifted the manner in which the commercial world carr...
Abstract : The world has moved to a business environment of automated production driven by electroni...
The main object of the concept of the definition of a permanent establishment in a double tax agreem...
The subject of the article is the analysis of alternative concepts of permanent establishment in th...
The emergence and progression of the digital economy has distorted the core principles of internatio...
Maiden name: Venter, MichelleThe continued growth of world commerce has led to the advance of the pe...
This master thesis investigates the need for a new Permanent Establishment (PE) definition for digit...
The online purchase of digital goods has the propensity to generate tax liability involving a notabl...
The permanent establishment (PE) has always been of interest in the field of international taxes in ...
The article aims to cover the issue of foreign entities having a “fixed establishment” in a given co...
The purpose of this paper is to present some challenges regarding the concepts “permanent establishm...
This article approaches to permanent establishment, the rules, and the taxation of electronic commer...