Author: Thiart, Cara
Similar Items: A critical analysis of the scope of the foreign services reportable arrangement provision of the Tax Administration Act of South Africa
- Aspects of the administrative law relationship between the taxpayer and the Commissioner for Inland Revenue
- An analysis of the anti-avoidance provision S.103 of the South African Income Tax act
- Analysis of the interaction between the income tax and capital gains tax provisions applicable to share dealers
- The imputability of ‘income on income’ under section 7(3) of the Income Tax Act
- A critical analysis of the interpretation of the term "associated enterprise" in provisions in South African double taxation agreement based on Article 9 of the Organisation for Economic Cooperation and Development's Model Tax Convention on Income and on Capital
- Third party appointments in South African tax law : a comparison with South African civil procedure law and a constitutional review