Similar Items: The general anti-avoidance section: a comparative analysis of Section 80a of the South African Tncome Tax Act no. 58 of 1962 and Section 35 of the Tanzanian Income Tax Act no. 11 of 2004
- An analysis of Section 80A(C)(ii) of the Income Tax Act no. 58 of 1962 as amended
- A critical analysis of the requirements of the South African General Anti Avoidance Rule Section 80A of the Income Tax Act 58 of 1962
- An analysis of the anti-avoidance provision section 103 of the South African Income Tax Act 58 of 1962
- The deduction of repairs to property in terms of section 11(d) of the Income Tax Act 58 of 1962
- The tax implications of the amendment of section 10(1)(o)(ii) of the Income Tax Act 58 of 1962
- The reach and implication of section 45(4)(b) of the Income Tax Act 58 of 1962
Author: Davis, Dennis
- A comparative analysis of the concept of fiscal jurisdiction in income tax law
- Competition law's inclusion of public interest considerations in mergers and beyond: a potential paradox?
- The role of the public interest in competition law: a consideration of the public interest in merger control and exemptions in South Africa and how the public interest plays a more important role in the competition laws of South Africa and of develop
- A question on whether competition authorities are the appropriate place to consider public interest considerations in the assessment of mergers in competition law?
- Do Supra-National Competition Authorities Resolve the Challenges of Cross Border Merger Regulation in Developing and Emerging Economies? The Case of the Common Market for Eastern and Southern Africa.
- The role of the law in the institutionalization of industrial conflict with specific reference to the use of the lock-out in South Africa
Author: Massaga, Salome
- The general anti-avoidance section: a comparative analysis of Section 80a of the South African Tncome Tax Act no. 58 of 1962 and Section 35 of the Tanzanian Income Tax Act no. 11 of 2004
- A critical analysis of the Tanzania income tax act, 2004 on resolving international disputes relating to taxation