Similar Items: The Interrelationship Between A Tax Revolt And The Pay-Now-Argue-Later Principle
- A systematised review of the literature pertaining to tax revolts
- Tax revolts : analysing the South African governments' response to the Covid-19 pandemic and taxpayer compliance
- The 'pay now argue later' principle in South African Tax Law: its development, operation, comparison to South African civil debt enforcement and consistency with the constitutional right of access to courts
- A critical analysis of the implementation of the 'pay now, argue later' principle by SARS as provided by section 164 of the Tax Administration Act 28 of 2011; and, Limitation of interest deduction in South Africa: a suggested approach to the application of sections 31 and 23M of the Income Tax Act 58 of 1962 to debt and equity business financing methods
- Tax time periods and the "pay now argue later" rule : a analysis of the effect on taxpayers
- The constitutionality of the "pay now argue later" rule in terms of the Tax Administration Act 28 of 2011
Author: Van Zyl, Stephanus
- A proposal for a gambling tax in South Africa
- The understatement penalty regime in terms of the Tax Administration Act 28 of 2011
- The sale of a going concern for Value-Added Tax purposes with specific emphasis on lease agreements
- The Carbon Tax Act 15 of 2019 and the double-dividend hypothesis
- Value-added tax obligations of social media content creators
- The Income Tax treatment of hybrid inter-corporate financial arrangements