A critical analysis of South Africa's general anti avoidance provisions in income tax legislation

This treatise was undertaken to critically analyse the new general anti avoidance rules (new GAAR) as set out in sections 80A to 80L of the Income Tax Act1. A discussion on the difference between tax evasion and tax avoidance was performed in the first chapter. The goals of this treatise were then s...

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Main Author: Haffejee, Yaasir
Format: Others
Language:English
Published: Nelson Mandela Metropolitan University 2009
Subjects:
Online Access:http://hdl.handle.net/10948/1243
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spelling ndltd-netd.ac.za-oai-union.ndltd.org-nmmu-vital-89562017-12-21T04:22:42ZA critical analysis of South Africa's general anti avoidance provisions in income tax legislationHaffejee, YaasirTax evasion -- South AfricaTax planning -- South AfricaIncome tax -- Law and legislation -- South AfricaRule of law -- South AfricaThis treatise was undertaken to critically analyse the new general anti avoidance rules (new GAAR) as set out in sections 80A to 80L of the Income Tax Act1. A discussion on the difference between tax evasion and tax avoidance was performed in the first chapter. The goals of this treatise were then set out. An analysis of the requirements for the application of the new GAAR was performed in the second chapter. The courts have historically reviewed the circumstances surrounding an arrangement when determining whether tax avoidance has occurred. The new GAAR requires the individual steps of an arrangement to be reviewed in isolation. Secondly, the courts have historically held that the purpose test, when determining the taxpayer‘s purpose, was subjective. The wording of the new GAAR indicates that this test is now objective. Thirdly, the courts have historically viewed the abnormality of an arrangement based of the surrounding circumstances. The wording of the new GAAR requires an objective view of the arrangement. An analysis of the secondary provisions contained in sections 80I, 80B and 80J of the new GAAR was performed in the third chapter. With regards to section 80B, it was submitted that the Commissioner should issue an Interpretation Note detailing all the methods ―he deems appropriate.Nelson Mandela Metropolitan UniversityFaculty of Business and Economic Sciences2009ThesisMastersMComvi, 51 leavespdfvital:8956http://hdl.handle.net/10948/1243EnglishNelson Mandela Metropolitan University
collection NDLTD
language English
format Others
sources NDLTD
topic Tax evasion -- South Africa
Tax planning -- South Africa
Income tax -- Law and legislation -- South Africa
Rule of law -- South Africa
spellingShingle Tax evasion -- South Africa
Tax planning -- South Africa
Income tax -- Law and legislation -- South Africa
Rule of law -- South Africa
Haffejee, Yaasir
A critical analysis of South Africa's general anti avoidance provisions in income tax legislation
description This treatise was undertaken to critically analyse the new general anti avoidance rules (new GAAR) as set out in sections 80A to 80L of the Income Tax Act1. A discussion on the difference between tax evasion and tax avoidance was performed in the first chapter. The goals of this treatise were then set out. An analysis of the requirements for the application of the new GAAR was performed in the second chapter. The courts have historically reviewed the circumstances surrounding an arrangement when determining whether tax avoidance has occurred. The new GAAR requires the individual steps of an arrangement to be reviewed in isolation. Secondly, the courts have historically held that the purpose test, when determining the taxpayer‘s purpose, was subjective. The wording of the new GAAR indicates that this test is now objective. Thirdly, the courts have historically viewed the abnormality of an arrangement based of the surrounding circumstances. The wording of the new GAAR requires an objective view of the arrangement. An analysis of the secondary provisions contained in sections 80I, 80B and 80J of the new GAAR was performed in the third chapter. With regards to section 80B, it was submitted that the Commissioner should issue an Interpretation Note detailing all the methods ―he deems appropriate.
author Haffejee, Yaasir
author_facet Haffejee, Yaasir
author_sort Haffejee, Yaasir
title A critical analysis of South Africa's general anti avoidance provisions in income tax legislation
title_short A critical analysis of South Africa's general anti avoidance provisions in income tax legislation
title_full A critical analysis of South Africa's general anti avoidance provisions in income tax legislation
title_fullStr A critical analysis of South Africa's general anti avoidance provisions in income tax legislation
title_full_unstemmed A critical analysis of South Africa's general anti avoidance provisions in income tax legislation
title_sort critical analysis of south africa's general anti avoidance provisions in income tax legislation
publisher Nelson Mandela Metropolitan University
publishDate 2009
url http://hdl.handle.net/10948/1243
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