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The taxpayer's right to finality – a critical analysis of legislation and practice in South Africa

In this thesis, I evaluate whether the exercise of the audit and information-gathering powers granted to the South African Revenue Service under sections 42 and 46 of the Tax Administration Act 28 of 2011 has the capacity to undermine taxpayers' rights to finality, and if so, what can be done to imp...

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Main Author: Choate, Julia
Other Authors: Gutuza, Tracy, Davis, Dennis
Format: Thesis
Language:English
Published: Department of Commercial Law 2022
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access_status_str Open Access
author Choate, Julia
author2 Gutuza, Tracy, Davis, Dennis
author_browse Choate, Julia
Gutuza, Tracy, Davis, Dennis
author_facet Gutuza, Tracy, Davis, Dennis
Choate, Julia
author_sort Choate, Julia
collection Thesis
description In this thesis, I evaluate whether the exercise of the audit and information-gathering powers granted to the South African Revenue Service under sections 42 and 46 of the Tax Administration Act 28 of 2011 has the capacity to undermine taxpayers' rights to finality, and if so, what can be done to improve this aspect of South African tax administration. To address the first part of this hypothesis, I analyse the content of the right to finality conferred on taxpayers by the "limitation period" prescribed in section 99 of the TAA, in respect of tax assessments. I evaluate the role which the right to finality plays in South African tax administration, with reference to domestic and foreign case law, and international research into selected aspects of tax administration and behavioural economics (concepts such as tax morale and voluntary tax compliance), concluding that finality is a crucial component of an optimally functioning modern tax administration. I also analyse the content of the audit and information-gathering powers granted to SARS under the TAA, and SARS' current administrative policy and practice regarding the exercise of these powers, with reference to the legislation, various SARS manuals and publications, the findings of various commissions of inquiry, examples drawn from legal practice, relevant judgments, and the data compiled and published by the Office of the Tax Ombud. I conclude that the exercise of SARS' audit and information-gathering powers has the capacity to negatively affect the right to finality, and often does so in practice. I also conclude that currently, no satisfactory remedies exist for taxpayers where their right to finality is compromised by the exercise of SARS' audit and information-gathering powers. Having answered the first part of the hypothesis in the affirmative, I investigate potential policy-based solutions to achieve a sustainable and economically viable balance between 7 7 the exercise of SARS' audit and information-gathering powers, and taxpayers' right to finality. I analyse the policy and practice of various comparative international jurisdictions in order to formulate a series of recommendations to improve this area of South African tax administration, in line with current global standards of good practice. My recommendations include the adoption of a more streamlined and nuanced approach to audit and information-gathering by SARS, the urgent adoption and implementation of a comprehensive taxpayers' bill of rights, an operational and cultural shift within SARS towards more collaborative and co-operative practices where possible, and the creation of an independent oversight body to monitor and evaluate the success of policy implementation within and by SARS
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language eng
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license_str Not specified — see source repository
provenance_str_mv Harvested via OAI-PMH from UCTD — University of Cape Town Open Access Repository
publishDate 2022
publishDateRange 2022
publishDateSort 2022
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publisherStr Department of Commercial Law
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spelling oai:open.uct.ac.za:11427/36675 The taxpayer's right to finality – a critical analysis of legislation and practice in South Africa Choate, Julia Gutuza, Tracy, Davis, Dennis Commercial Law In this thesis, I evaluate whether the exercise of the audit and information-gathering powers granted to the South African Revenue Service under sections 42 and 46 of the Tax Administration Act 28 of 2011 has the capacity to undermine taxpayers' rights to finality, and if so, what can be done to improve this aspect of South African tax administration. To address the first part of this hypothesis, I analyse the content of the right to finality conferred on taxpayers by the "limitation period" prescribed in section 99 of the TAA, in respect of tax assessments. I evaluate the role which the right to finality plays in South African tax administration, with reference to domestic and foreign case law, and international research into selected aspects of tax administration and behavioural economics (concepts such as tax morale and voluntary tax compliance), concluding that finality is a crucial component of an optimally functioning modern tax administration. I also analyse the content of the audit and information-gathering powers granted to SARS under the TAA, and SARS' current administrative policy and practice regarding the exercise of these powers, with reference to the legislation, various SARS manuals and publications, the findings of various commissions of inquiry, examples drawn from legal practice, relevant judgments, and the data compiled and published by the Office of the Tax Ombud. I conclude that the exercise of SARS' audit and information-gathering powers has the capacity to negatively affect the right to finality, and often does so in practice. I also conclude that currently, no satisfactory remedies exist for taxpayers where their right to finality is compromised by the exercise of SARS' audit and information-gathering powers. Having answered the first part of the hypothesis in the affirmative, I investigate potential policy-based solutions to achieve a sustainable and economically viable balance between 7 7 the exercise of SARS' audit and information-gathering powers, and taxpayers' right to finality. I analyse the policy and practice of various comparative international jurisdictions in order to formulate a series of recommendations to improve this area of South African tax administration, in line with current global standards of good practice. My recommendations include the adoption of a more streamlined and nuanced approach to audit and information-gathering by SARS, the urgent adoption and implementation of a comprehensive taxpayers' bill of rights, an operational and cultural shift within SARS towards more collaborative and co-operative practices where possible, and the creation of an independent oversight body to monitor and evaluate the success of policy implementation within and by SARS 2022-08-15T09:21:17Z 2022-08-15T09:21:17Z 2022 2022-08-15T09:12:16Z Doctoral Thesis Doctoral PhD http://hdl.handle.net/11427/36675 eng application/pdf Department of Commercial Law Faculty of Law
spellingShingle Commercial Law
Choate, Julia
The taxpayer's right to finality – a critical analysis of legislation and practice in South Africa
thesis_degree_str Doctoral
title The taxpayer's right to finality – a critical analysis of legislation and practice in South Africa
title_full The taxpayer's right to finality – a critical analysis of legislation and practice in South Africa
title_fullStr The taxpayer's right to finality – a critical analysis of legislation and practice in South Africa
title_full_unstemmed The taxpayer's right to finality – a critical analysis of legislation and practice in South Africa
title_short The taxpayer's right to finality – a critical analysis of legislation and practice in South Africa
title_sort taxpayer s right to finality a critical analysis of legislation and practice in south africa
topic Commercial Law
url http://hdl.handle.net/11427/36675
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AT choatejulia taxpayersrighttofinalityacriticalanalysisoflegislationandpracticeinsouthafrica