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The impact of CSARS v NWK (Pty) Ltd in determining whether an interest free loan can be regarded as a simulated transaction

Mini Dissertation (LLM)--University of Pretoria, 2018.

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Other Authors: Krause, Frans Albert
Format: Thesis
Language:English
Published: University of Pretoria 2018
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access_status_str Open Access
author2 Krause, Frans Albert
author_browse Krause, Frans Albert
author_facet Krause, Frans Albert
collection Thesis
dc_rights_str_mv � 2018 University of Pretoria. All rights reserved. The copyright in this work vests in the University of Pretoria. No part of this work may be reproduced or transmitted in any form or by any means, without the prior written permission of the University of Pretoria.
description Mini Dissertation (LLM)--University of Pretoria, 2018.
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institution University of Pretoria (South Africa)
language English
last_indexed 2026-06-10T12:36:38.421Z
license_str Other — see source repository
provenance_str_mv Harvested via OAI-PMH from UPSpace — University of Pretoria Institutional Repository
publishDate 2018
publishDateRange 2018
publishDateSort 2018
publisher University of Pretoria
publisherStr University of Pretoria
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source_str UPSpace — University of Pretoria Institutional Repository
spelling oai:repository.up.ac.za:2263/67902 The impact of CSARS v NWK (Pty) Ltd in determining whether an interest free loan can be regarded as a simulated transaction Krause, Frans Albert keanebrentley@outlook.com Brentley, Keane Warrick UCTD Unrestricted Mini Dissertation (LLM)--University of Pretoria, 2018. This research component evaluates the impact that the doctrine of substance over form has on the use of interest free loans. The research process has a two-tiered approach. The first part focuses on the loan concept, its history and development, and current application in South African law. The second part of the process focuses on the development and application of the doctrine of substance over form through the common law, with an emphasis on the judgment in CSARS v NWK Ltd.1 The judgment referred to above, introduced a new concept to the doctrine of substance over form. Lewis JA seemingly developing the test to consider what has been coined “commercial purpose” when using the principles of the doctrine to establish whether a transaction has been simulated between parties. The research therefore, in essence, focuses on the following statements by Lewis JA with regards thereto: “…In my view the test to determine simulation cannot simply be whether there is an intention to give effect to a contract in accordance with its terms. Invariably where parties structure a transaction to achieve an objective other than the one ostensibly achieved they will intend to give effect to the transaction on the terms agreed. The test should thus go further, and require an examination of the commercial sense of the transaction: of its real substance and purpose. If the purpose of the transaction is only to achieve an object that allows the evasion of tax, or of a peremptory law, then it will be regarded as simulated.”2 And: “It should have asked whether there was actually any purpose in the contract other than tax evasion. This is not to suggest that a taxpayer should not take advantage of a tax-effective structure. But as I have said, there must be some substance – commercial reason – in the arrangement, not just an intention to achieve a tax benefit or to avoid the application of a law.”3 The purpose of the research is to test the doctrine of substance over form, against the concept of an interest free loan, with an emphasis on the impact that the ratio decidendi, of Lewis JA has on the implementation of the test. The research considers the application of the doctrine of a selected set of cases, and the development of the doctrine through the common law. In this regard, the research commences with a discussion of the concept of a loan, and its development in South African law. The research then proceeds to focus on the common law of substance over form, prior to the judgment in CSARS v NWK Ltd. An in depth analysis is then done on the CSARS v NWK Ltd matter, and developments after the judgment, and these are finally compared to some international standards. The reasoning behind this structure is to focus on, and critically analyse the doctrine of substance over form, and the current development and application thereof in South African tax law. Mercantile Law LLD 2018-12-05T08:05:53Z 2018-12-05T08:05:53Z 2009/06/18 2018 Mini Dissertation Brentley, KW 2018, The impact of CSARS v NWK (Pty) Ltd in determining whether an interest free loan can be regarded as a simulated transaction, LLD Mini Dissertation, University of Pretoria, Pretoria, viewed yymmdd <http://hdl.handle.net/2263/67902> S2018 http://hdl.handle.net/2263/67902 en � 2018 University of Pretoria. All rights reserved. The copyright in this work vests in the University of Pretoria. No part of this work may be reproduced or transmitted in any form or by any means, without the prior written permission of the University of Pretoria. application/pdf University of Pretoria
spellingShingle UCTD
Unrestricted
The impact of CSARS v NWK (Pty) Ltd in determining whether an interest free loan can be regarded as a simulated transaction
title The impact of CSARS v NWK (Pty) Ltd in determining whether an interest free loan can be regarded as a simulated transaction
title_full The impact of CSARS v NWK (Pty) Ltd in determining whether an interest free loan can be regarded as a simulated transaction
title_fullStr The impact of CSARS v NWK (Pty) Ltd in determining whether an interest free loan can be regarded as a simulated transaction
title_full_unstemmed The impact of CSARS v NWK (Pty) Ltd in determining whether an interest free loan can be regarded as a simulated transaction
title_short The impact of CSARS v NWK (Pty) Ltd in determining whether an interest free loan can be regarded as a simulated transaction
title_sort impact of csars v nwk pty ltd in determining whether an interest free loan can be regarded as a simulated transaction
topic UCTD
Unrestricted
url http://hdl.handle.net/2263/67902