There are different opinions as to the process whereby double taxation agreements (DTAs) are incorporated into South African law. This contribution aims to discuss some of the existing opinions and to offer a further perspective on the matter. At the heart of the debate lies the interpretation of two provisions, namely section 231 of the Constitution of the Republic of South Africa and section 108 of the Income Tax Act and the interaction between the two. This contribution argues that South Africa's DTAs are not self-executing (a term referred to in section 231(4) of the Constitution) and should therefore be enacted into law by national legislation. It is furthermore argued that section 108(2) of the Income Tax Act enables a DTA to be incor...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
General renvoi clauses in DTAs based on article 3(2) of the OECD MTC provide that an undefined term ...
CITATION: Jansen van Rensburg, E. 2019. The application and interpretation by South African courts o...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
This article investigates the legal status of Double Taxation Agreements, and the relationship betwe...
CITATION: Du Plessis, J. 2016. The interpretation of double taxation agreements : a comparative eval...
The recent 2007 tax case ITC 1819 (2007) 69 SATC 159 is noteworthy on two grounds. First, it is one ...
Under contract law parties may agree, upon a breach of any of the provisions in the agreement, ...
General renvoi clauses in DTAs based on article 3(2) of the OECD MTC provide that an undefined term ...
In the Australian case of Bywater Investments Ltd v Commissioner of Taxation; Hua Wang Bank Berhad v...
In the Australian case of Bywater Investments Ltd v Commissioner of Taxation; Hua Wang Bank Berhad ...
Abstract: Policy makers in South Africa, like other emerging market economies, seek to grow their ec...
M.Com. (SA and International Tax)The term “beneficial owner” is found in 64 of the 71 double tax agr...
South Africa's right to tax the income of a non-resident is determined in terms of the South African...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
General renvoi clauses in DTAs based on article 3(2) of the OECD MTC provide that an undefined term ...
CITATION: Jansen van Rensburg, E. 2019. The application and interpretation by South African courts o...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
This article investigates the legal status of Double Taxation Agreements, and the relationship betwe...
CITATION: Du Plessis, J. 2016. The interpretation of double taxation agreements : a comparative eval...
The recent 2007 tax case ITC 1819 (2007) 69 SATC 159 is noteworthy on two grounds. First, it is one ...
Under contract law parties may agree, upon a breach of any of the provisions in the agreement, ...
General renvoi clauses in DTAs based on article 3(2) of the OECD MTC provide that an undefined term ...
In the Australian case of Bywater Investments Ltd v Commissioner of Taxation; Hua Wang Bank Berhad v...
In the Australian case of Bywater Investments Ltd v Commissioner of Taxation; Hua Wang Bank Berhad ...
Abstract: Policy makers in South Africa, like other emerging market economies, seek to grow their ec...
M.Com. (SA and International Tax)The term “beneficial owner” is found in 64 of the 71 double tax agr...
South Africa's right to tax the income of a non-resident is determined in terms of the South African...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
General renvoi clauses in DTAs based on article 3(2) of the OECD MTC provide that an undefined term ...
CITATION: Jansen van Rensburg, E. 2019. The application and interpretation by South African courts o...