Author: Van Schalkwyk, L.
Similar Items: The deductibility of future expenditure on contract in terms of section 24C
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- 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
- A critical evaluation of section 15A of the Income Tax Act
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