Similar Items: Formulation of guidance on the South African income tax consequences of expenditure incurred in a tender process
- The deductibility of future expenditure on contract in terms of section 24C
- An analysis of the interaction between section 7(8) and section 31(2) of the Income Tax Act No. 58 of 1962 when applied to non-interest-bearing loans from resident natural persons to connected non-resident trusts
- The meaning of "actually incurred" in section 11 of the Income Tac Act in the context of three specific transactions
- Determining to what extent the “money-lender test” needs to be satisfied in the context of South African investment holding companies, focusing on the requirements of section 11(a) and 24J(2) of the Income Tax Act No. 58 of 1962
- Expenditure incurred in the production of income from an illegal source
- An analysis of Section 80A(C)(ii) of the Income Tax Act no. 58 of 1962 as amended
Author: Nel, Rudie
- A study of a feebate policy to reduce CO₂ emissions in the South African automotive industry
- The effect of investor-level tax reform on payout policies : evidence from companies listed in selected sectors on the Johannesburg Stock Exchange
- Formulation of guidance on the South African income tax consequences of expenditure incurred in a tender process
- An investigation of the normal tax consequences for non-resident cloud computing service providers in South Africa
- An investigation of the tax implications of a cession of the right to receive a dividend
- Debt conversion involving preference shares : investigating the application of section 7C of the South African Income Tax Act