Date post: | 11-Jan-2016 |
Category: |
Documents |
Author: | archibald-nelson |
View: | 214 times |
Download: | 1 times |
Budget & Tax Budget & Tax UpdateUpdate
20082008
22
The The morningmorning ahead ahead
2008 Budget2008 Budget
2007 Tax update2007 Tax update
Taxation Laws Amendment Act 8 of 2007Taxation Laws Amendment Act 8 of 2007
Taxation Laws Second Amendment Act 9 of 2007Taxation Laws Second Amendment Act 9 of 2007
Revenue Laws Amendment Act 35 of 2007Revenue Laws Amendment Act 35 of 2007
Revenue Laws Second Amendment Act 36 of 2007Revenue Laws Second Amendment Act 36 of 2007
33
PART 1 – BUDGET 2008PART 1 – BUDGET 2008
44
Main tax proposals R10.5 bn in net tax relief R7.7 bn personal income tax relief Company tax rate down to 28% STC replaced by a final withholding tax on dividends in 2009 Simplified system for small businesses with annual turnover up
to R1m Compulsory VAT registration threshold increases to R1m Incentives to encourage venture capital equity investments in
SMMEs R5 billion over the next 3 years in targeted incentives to
encourage investment in labour-intensive or strategic sectors Learnership allowances to be expanded Electricity levy of 2 cents per kilowatt hour to be introduced
55
Tax tablesTax tables
66
RebatesRebates
20092009 20082008
Under 65Under 65 R8 280R8 280 R7 740R7 740
Increase over previous Increase over previous yearyear 7%7% 7.5%7.5%
Over 65Over 65 R5 040R5 040 R4 680R4 680
Increase over previous Increase over previous yearyear 7.7%7.7% 4.0%4.0%
77
Tax thresholdTax threshold
20092009 20082008
Under 65Under 65 R46 000R46 000 R43 000R43 000
Over 65Over 65 R74 000R74 000 R69 000R69 000
88
Tax savings - persons under 65
Taxable income
R
2008/9
RR
2007/8
RR
Saving
RR %
46000 0 540 540
100000 9720 10260 540 5%
200000 33430 35385 1955 6%
300000 64930 67885 2955 4%
500000 138730 143385 4655 3%
1000000 338730 343385 4655 1%
99
Interest and taxable dividend Interest and taxable dividend exemptionexemption
20092009 20082008
Under 65Under 65 R19 000R19 000 R18 000R18 000
Over 65Over 65 R27 500R27 500 R26 000R26 000
Foreign dividends & Foreign dividends & interestinterest R3 200R3 200 R3 000R3 000
1010
Capital exemptionsCapital exemptions
20092009 20082008
Donations taxDonations tax R100 000R100 000 R100 000R100 000
Estate dutyEstate duty R3,5mR3,5m R3,5mR3,5m
CGT annual exclusionCGT annual exclusion R16 000R16 000 R15 000R15 000
Primary residence Primary residence exclusionexclusion R1,5mR1,5m R1,5mR1,5m
1111
Company tax ratesCompany tax ratesYears of assessment ending between 1/4/08 and 31/3/09Years of assessment ending between 1/4/08 and 31/3/09
20092009 20082008
Non-mining companiesNon-mining companies 28%28% 29%29%
Close corporationsClose corporations 28%28% 29%29%
Employment companiesEmployment companies 33%33% 34%34%
Taxable income of a non-resident Taxable income of a non-resident companycompany
33%33% 34%34%
Closely held passive investment Closely held passive investment companiescompanies
40%40% 29%29%
1212
Small business corporationsSmall business corporations
Years of assessment ending between 1 April 2008 - 31 March 2009Years of assessment ending between 1 April 2008 - 31 March 2009
Taxable incomeTaxable income Rate of taxRate of tax
RR
00 -- 46 00046 000 0%0%
46 001 46 001 -- 300 000300 000 10% of the amount over R46 00010% of the amount over R46 000
300 000300 000 -- R25 400 + 28% of the amount over R300 000R25 400 + 28% of the amount over R300 000
1313
Presumptive turnover tax for very Presumptive turnover tax for very small businessessmall businesses
Years of assessment ending between 1 April 2008 and 31 March 2009Years of assessment ending between 1 April 2008 and 31 March 2009
TurnoverTurnover Rate of taxRate of tax
RR
00 -- 100 000100 000 0%0%
100 001 100 001 -- 300 000300 000 2% of the amount over R100 0002% of the amount over R100 000
300 001300 001 -- 500 000500 000 R4 000 + 4% of the amount over R300 000R4 000 + 4% of the amount over R300 000
500 001500 001 -- 750 000750 000 R12 000 + 5.5% of the amount over R500 000R12 000 + 5.5% of the amount over R500 000
750 001750 001 -- 1 000 0001 000 000 R25 750 + 7.5% of the amount over R750 000R25 750 + 7.5% of the amount over R750 000
1414
Presumptive tax illustrationPresumptive tax illustration
Turnover
R
Tax
R Average
100000 Nil 0%
200000 2000 1.0%
300000 4000 1.3%
500000 12000 2.4%
750000 25750 3.4%
1000000 44500 4.5%
1515
STCSTC
Rate of STC on dividends declared -Rate of STC on dividends declared -
14 March 1996 – 30 September 200714 March 1996 – 30 September 2007 12.50%12.50%
On or after 01 October 2007On or after 01 October 2007 10%10%
1616
Other tax ratesOther tax rates
20092009 20082008
Trusts (other than special trusts)Trusts (other than special trusts) 40%40% 40%40%
Estate dutyEstate duty 20%20% 20%20%
Donations taxDonations tax 20%20% 20%20%
PBOs & recreational clubsPBOs & recreational clubs 28%28% 29%29%
1717
Dividends & STCDividends & STC STC rate remains at 10%
Dividend withholding tax in 2009
no dividend tax for tax-exempt entities
all STC credits will expire
10% withholding tax for resident shareholders
rate for non-resident shareholders may be limited by specific tax treaties
Tax withheld by the declaring company to be paid to SARS by the end of the month following the month in which the dividend is declared
1818
Dividends (cont.)Dividends (cont.)
cascading relief will apply to avoid double tax 10% rate on dividends paid to closely held (passive) companies
dividend payments to nominees and representative parties
Option 1: declaring company may reduce or eliminate 10% Option 1: declaring company may reduce or eliminate 10% withholding tax if sufficient proof that the economic owner has withholding tax if sufficient proof that the economic owner has preferred status (joint liability for error)preferred status (joint liability for error)
Option 2: nominee withholds the tax (if SARS is satisfied that Option 2: nominee withholds the tax (if SARS is satisfied that the nominee has sufficient substance)the nominee has sufficient substance)
1919
Capital distributionsCapital distributions
Part-disposal rule may be reviewed Part-disposal rule may be reviewed
A short discussion document may be issuedA short discussion document may be issued
2020
Learnership allowance
To be extended to cater for longer-term technical apprenticeships such as electricians, welders, plumbers, mechanics, etc
2121
Tax incentives to support Tax incentives to support industrial policyindustrial policy
Carefully designed incentives to encourage Carefully designed incentives to encourage investment in labour intensive or strategic investment in labour intensive or strategic sectors sectors
Programme to be finalised in consultation with Programme to be finalised in consultation with the Department of Trade and Industry and other the Department of Trade and Industry and other interested partiesinterested parties
2222
Urban development zonesUrban development zones
Section 13Section 13quatquat incentive to be extended for five incentive to be extended for five yearsyears
Municipalities may apply to extend designated Municipalities may apply to extend designated zoneszones
Number of participating municipalities may be Number of participating municipalities may be expandedexpanded
2323
Housing for low-income workers
Current tax allowances (ss 11(t) & 13ter) to be enhanced
R6 000 deductible limit per dwelling for employer-provided housing to be increased
Additional incentives to be explored
Fringe benefits tax relief for employer-provided low-cost housing
2424
VAT relief for small businesses
Compulsory VAT registration threshold increased to R1 million p.a.
Threshold for farmers submitting VAT returns every 6 months and businesses that submit every 4 months increased from R1.2 m to R1.5 m
Presumptive tax for very small businesses
2525
Venture capital incentive: Venture capital incentive: non-miningnon-mining
Investors in high-growth and high-tech small and start-up enterprises with
annual turnover up to R14 m or
gross assets up to R7 m
General venture capital investments: 30% up-front deduction, with annual deductions capped at
R500 000 for individuals
R750 000 for companies
R7.5 m for venture capital funds
2626
Venture capital incentive: Venture capital incentive: junior mining and exploration companies
Gross assets up to R30 – 50 million for junior mining and exploration companies
50% upfront deduction, with annual deductions capped at
R1 m for individuals; R10 million for companies and venture capital funds
2727
Depreciation of small business Depreciation of small business non-manufacturing equipmentnon-manufacturing equipment
50:30:20 write-off OR50:30:20 write-off OR
Section 11(Section 11(ee) wear tear) wear tear
2828
IndividualsIndividuals
Medical scheme contributions monthly monetary caps increased from R530 to R570 for
each of the first two beneficiaries and from R320 to R345 for each additional beneficiary
Medical expenses “handicapped person” and physical disability expenses to
be reviewed
2929
Employees’ taxEmployees’ tax
SITE Refunds following broken periods
Repayable remuneration Deductions to be introduced for repayments of
bonuses,etc
3030
Bursary exemption
2008/9 2007/8
Remuneration limit R100 000 R60 000
Bursary limit R10 000 R3 000
3131
New travel allowance table
Value of the vehicle Fixed cost Fuel cost Maint. (c/km)R R p.a. (c/km)
0 – 40 000 14 672 58.6 21.7
40 001 – 80 000 29 106 58.6 21.7
80 001 – 120 000 39 928 62.5 24.2
120 001 – 160 000 50 749 68.6 28
160 001 – 200 000 63 424 68.8 41.1
200 001 – 240 000 76 041 81.5 46.4
240 001 – 280 000 86 211 81.5 46.4
280 001 – 320 000 96 260 85.7 49.4
320 001 – 360 000 106 367 94.6 56.2
360 001 – 400 000 116 012 110.3 75.2
exceeding 400 000 116 012 110.3 75.2
3232
New subsistence allowance rates
Travel in the RepublicTravel in the Republic meals and incidental costs: R240 per day meals and incidental costs: R240 per day
incidental costs only: R73.50 per dayincidental costs only: R73.50 per day
Travel outside the Republic: US$215 per dayTravel outside the Republic: US$215 per day
From 1 March 2008From 1 March 2008
3333
Fringe benefitsFringe benefits
Residential accommodation for expatriatesResidential accommodation for expatriates 1 year exempt period to be extended to 2 years subject to a
ceiling of the lower of 25% of remuneration or R25 000 per month
Relief for incidental private use of cellular phones and laptops
3434
Reform of retirement fundsReform of retirement funds
Review continuesReview continues
Divorce settlements to be taxed in the non-Divorce settlements to be taxed in the non-member spouse’s handsmember spouse’s hands
3535
Public benefit organisationsPublic benefit organisations
Requirement to conduct 85% or more of Requirement to conduct 85% or more of activities in South Africa to be droppedactivities in South Africa to be dropped
Donations to multilateral humanitarian Donations to multilateral humanitarian organisations offering developmental assistance organisations offering developmental assistance in South Africa to qualify for section 18A in South Africa to qualify for section 18A deductiondeduction
PBOs providing student loans to be exempt PBOs providing student loans to be exempt
Tax exemption for PBOs providing housingTax exemption for PBOs providing housing maximum monthly household income to be increased from maximum monthly household income to be increased from
R3500 to R7000 per monthR3500 to R7000 per month
3636
Biodiversity conservation and Biodiversity conservation and managementmanagement
Measures to encourage conservationMeasures to encourage conservation
Tax incentives for private landowners preserving habitats Tax incentives for private landowners preserving habitats and biodiversity on their land and biodiversity on their land
Deduction of expenses limited to income derived from the landDeduction of expenses limited to income derived from the land
Tax deduction for nature reserve or national park donated Tax deduction for nature reserve or national park donated to a PBO or parastatal conservation agency to a PBO or parastatal conservation agency
Possible estate duty, transfer duty and donations tax Possible estate duty, transfer duty and donations tax exemptions for properties bequeathed, sold or donated to exemptions for properties bequeathed, sold or donated to a PBO for declaration as a protected areaa PBO for declaration as a protected area
3737
Electricity levyElectricity levy
2 c/kWh tax on electricity2 c/kWh tax on electricity
Complemented by incentives to encourage Complemented by incentives to encourage businesses to behave in a more environmentally businesses to behave in a more environmentally responsible mannerresponsible manner
Existing tax incentives on uptake and Existing tax incentives on uptake and development of renewable energy may be development of renewable energy may be further enhancedfurther enhanced
3838
Fuel taxes and Road Accident Fuel taxes and Road Accident Fund levyFund levy
Fuel levy to increase on 2 April 2008 by 6 c/l to Fuel levy to increase on 2 April 2008 by 6 c/l to 127 c/l (petrol) and 127 c/l (petrol) and
111 c/l (diesel). This constitutes an increase of 5% for petrol 111 c/l (diesel). This constitutes an increase of 5% for petrol and 5.7% for diesel respectively. and 5.7% for diesel respectively.
RAF levy on petrol and diesel to increase by 5 c/l RAF levy on petrol and diesel to increase by 5 c/l 46.5 c/l from 2 April 200846.5 c/l from 2 April 2008
3939
Alcoholic beverages and tobacco Alcoholic beverages and tobacco productsproducts
4040
Financing options for provincial Financing options for provincial and local governmentand local government
Alternatives to RSC and JSB leviesAlternatives to RSC and JSB levies share of revenue from the fuel levy based on fuel sales per share of revenue from the fuel levy based on fuel sales per
municipalitymunicipality
provinces may receive a share of the fuel levy based on provinces may receive a share of the fuel levy based on fuel sales per provincefuel sales per province
4141
Group relief and the de-Group relief and the de-grouping chargegrouping charge
2007 amendments to group relief rules set to 2007 amendments to group relief rules set to become effective from 1 January 2009 become effective from 1 January 2009 Definition of “group of companies” and transitional issues Definition of “group of companies” and transitional issues
to be reviewed to be reviewed
Further anti-avoidance provisionsFurther anti-avoidance provisions
De-grouping charge to be revisited in respect of double De-grouping charge to be revisited in respect of double gains and trapped lossesgains and trapped losses
VAT legislation to be amendedVAT legislation to be amended
4242
Share incentive schemesShare incentive schemes
Broad-based share incentive schemesBroad-based share incentive schemes Limits to be reviewedLimits to be reviewed
Share incentive schemesShare incentive schemes Section 8C to be further refinedSection 8C to be further refined
4343
Intellectual propertyIntellectual property
2007 amendments to eliminate deduction of 2007 amendments to eliminate deduction of royalty payments to foreign residents if the royalty payments to foreign residents if the royalty stemmed from intellectual property royalty stemmed from intellectual property initially devised in South Africainitially devised in South Africa further discussion required before implementationfurther discussion required before implementation
4444
Body corporatesBody corporates
Levies are tax-free but other income is taxableLevies are tax-free but other income is taxable
Non-levy investment income to be exempt up to Non-levy investment income to be exempt up to R50 000 R50 000
4545
Provisional taxProvisional tax
System to be reviewed System to be reviewed
Basic amountBasic amount to excludeto exclude retirement fund lump retirement fund lump sums and pre-retirement withdrawalssums and pre-retirement withdrawals
4646
Tax administrationTax administration
Penalty & interest system to be streamlinedPenalty & interest system to be streamlined
Requirement to submit supporting documents to be Requirement to submit supporting documents to be removed (supporting documentation need only be removed (supporting documentation need only be kept as part of the taxpayer’s records)kept as part of the taxpayer’s records)
IRP5 and EMP501 system to be improvedIRP5 and EMP501 system to be improved
4747
Trusts and estatesTrusts and estates
Trust distributions to beneficiariesTrust distributions to beneficiaries
Double tax charge on vesting of trust Double tax charge on vesting of trust assets to be removedassets to be removed
Estate redistributionsEstate redistributions
Tax-free redistribution rules to be adjusted Tax-free redistribution rules to be adjusted for supplying outside funds or assets to for supplying outside funds or assets to equalise differencesequalise differences
4848
Estate DutyEstate Duty
General anti-avoidance rule General anti-avoidance rule
Estate duty assessmentsEstate duty assessments
Life insurance/pension benefits and estate dutyLife insurance/pension benefits and estate duty exemption for life insurance up to a specified threshold (as long exemption for life insurance up to a specified threshold (as long
as that policy is not created shortly before death)as that policy is not created shortly before death)
4949
PART 2 – TAX UPDATEPART 2 – TAX UPDATE
5050
Developments over the last yearDevelopments over the last year
Interpretation notesInterpretation notes
Regulations and government noticesRegulations and government notices
Retirement notesRetirement notes
Tax judgments Tax judgments
Brochures and guides issued by SARS Brochures and guides issued by SARS
Interest rate changesInterest rate changes
UIF thresholdUIF threshold
See www.sars.gov.zaSee www.sars.gov.za
5151
Dividends & STCDividends & STC
Pre-1/10/01 capital profits and pre-1993 profits in a Pre-1/10/01 capital profits and pre-1993 profits in a liquidation distribution no longer be excluded from liquidation distribution no longer be excluded from “dividend” “dividend” from 1/1/09from 1/1/09
““Profits” means realised and unrealised profits whether Profits” means realised and unrealised profits whether or not unrealised profits have been recognised in the or not unrealised profits have been recognised in the accounts of the company accounts of the company (from 1/10/07)(from 1/10/07)
Paras (Paras (cc) and () and (dd) of the definition of “dividend” have been ) of the definition of “dividend” have been deleteddeleted (from 1/10/07)(from 1/10/07)
Share capital or share premium apportioned to a Share capital or share premium apportioned to a particular class of shares may not exceed the particular class of shares may not exceed the contribution given in respect of the issue of that class of contribution given in respect of the issue of that class of shares (from 1/10/2007)shares (from 1/10/2007)
5252
Allocation of share premiumAllocation of share premium
ExampleExample
A company has two classes of ordinary shares A and B sharesA company has two classes of ordinary shares A and B shares
A-shareholders previously contributed share capital and share A-shareholders previously contributed share capital and share premium of R30 000premium of R30 000
Before the creation of the B shares, the company’s value was Before the creation of the B shares, the company’s value was R1millionR1million
B shares are then issued for R1million, bringing the total value of the B shares are then issued for R1million, bringing the total value of the company to R2 millioncompany to R2 million
The company then distributes R1 million to the A-shareholders.The company then distributes R1 million to the A-shareholders.
ResultResult
The share capital and premium allocated to the A shares cannot The share capital and premium allocated to the A shares cannot exceed R30 000 (initial contribution for those shares)exceed R30 000 (initial contribution for those shares)
5353
Inter-group STC exemption Inter-group STC exemption (s 64B(5)((s 64B(5)(ff))))
New definition of “group of companies” in s 41New definition of “group of companies” in s 41 If the shareholder is a companyIf the shareholder is a company
it must form part of the same group of companies as the company it must form part of the same group of companies as the company declaring the dividend and declaring the dividend and
the dividend must be taken into account in the determination of the the dividend must be taken into account in the determination of the profits of that shareholderprofits of that shareholder
Dividend from pre-acquisition profitsDividend from pre-acquisition profits Exemption applies if the dividend is recognised as incomeExemption applies if the dividend is recognised as income
Excluded from the definition of “dividend” to the extent that it reduces the Excluded from the definition of “dividend” to the extent that it reduces the cost of investment in accordance with IAS 18 (AC 111)cost of investment in accordance with IAS 18 (AC 111)
Effective 1 October 2007 Effective 1 October 2007
5454
Company reorganisations Company reorganisations (Part III)(Part III)
Definition of “group of companies” (s 41) narrowedDefinition of “group of companies” (s 41) narrowed
Limited to taxable companies Limited to taxable companies
70% ownership criteria tightened70% ownership criteria tightened
Excludes shares held as trading stockExcludes shares held as trading stock
Ignore shares subject to derivatives with Ignore shares subject to derivatives with rights/obligations of salerights/obligations of sale
Effective date: Effective date:
the definition of ‘‘dividend’’ - 1 October 2007 the definition of ‘‘dividend’’ - 1 October 2007
Part III of the Act - 1 January 2009 Part III of the Act - 1 January 2009
STC provisions - 1 October 2007 STC provisions - 1 October 2007
Para 12 of the Eighth Schedule - 1 October 2007Para 12 of the Eighth Schedule - 1 October 2007
5555
Company reorganisations Company reorganisations (Part III)(Part III)
Sections 42 and 43 combined : Asset-for-share transactionsSections 42 and 43 combined : Asset-for-share transactions
Section 44(9A): amalgamated company’s profits are effectively Section 44(9A): amalgamated company’s profits are effectively rolled over to the resultant company so that STC remains rolled over to the resultant company so that STC remains payable when the resultant company makes subsequent payable when the resultant company makes subsequent distribution distribution
effectiveeffective fromfrom 21 February 200721 February 2007
Section 44(13): steps to liquidate, etc must be taken within Section 44(13): steps to liquidate, etc must be taken within 1818 months (or a longer period as the Commissioner may allow)months (or a longer period as the Commissioner may allow)
Intra-group transactions (s 45): degrouping charge if severed Intra-group transactions (s 45): degrouping charge if severed within 6 yearswithin 6 years
effective from 1 January 2009effective from 1 January 2009
5656
Deemed capital on share salesDeemed capital on share sales
Previously: s 9BPreviously: s 9B Listed sharesListed shares
5-year rule5-year rule
ElectionElection
disposed of by the taxpayer before 1/10/07disposed of by the taxpayer before 1/10/07
5757
New s 9CNew s 9C
Sales of shares held for up to 3 years are Sales of shares held for up to 3 years are deemed to be capitaldeemed to be capital
Mandatory (no election )Mandatory (no election )
Applies to gains Applies to gains andand losses losses
Applies to sales of “qualifying shares” on/after Applies to sales of “qualifying shares” on/after 1/10/07 1/10/07
Recoupment of previous deductions but no Recoupment of previous deductions but no s 22(8) recoupment s 22(8) recoupment
Special rules for fixed property companiesSpecial rules for fixed property companies
5858
ExampleExample
Taxpayer Taxpayer acquires shares for R150 in 2008acquires shares for R150 in 2008 holds the shares as trading stockholds the shares as trading stock sells the shares for R290 in 2013sells the shares for R290 in 2013
Tax treatment:Tax treatment: Purchase/opening stock deduction and closing stock add-Purchase/opening stock deduction and closing stock add-
back in 2008 - 2012back in 2008 - 2012 2013:2013:
opening stock deduction (s 22) of R150opening stock deduction (s 22) of R150 deduction recouped R150 deduction recouped R150 capital gain of R140 (R290 - R150)capital gain of R140 (R290 - R150)
5959
““Qualifying share”Qualifying share”
Equity share as defined in s 44 - includesEquity share as defined in s 44 - includes shares listed on the JSE (domestic and foreign)shares listed on the JSE (domestic and foreign)
private company sharesprivate company shares
interests in close corporationsinterests in close corporations
collective investment schemes in securitiescollective investment schemes in securities
Excludes Excludes s 8E hybrid instruments s 8E hybrid instruments
shares in share block companies shares in share block companies
shares in unlisted foreign companiesshares in unlisted foreign companies
6060
Fixed property companiesFixed property companies
The person selling the share is a connected person to the The person selling the share is a connected person to the companycompany ““Connected person” - s 1 definition BUTConnected person” - s 1 definition BUT
includes a shareholder (another company) with at least includes a shareholder (another company) with at least 20% holding 20% holding even ifeven if another shareholder holds a another shareholder holds a majority interestmajority interest
And And
a)a) more than 50% of the MV of the company consists of more than 50% of the MV of the company consists of immovable property acquired within 3 years before immovable property acquired within 3 years before disposal of the sharesdisposal of the shares
oror
b)b) within the last 3 years the company acquired assets thatwithin the last 3 years the company acquired assets that are encumbered by a lease or license and payments for use are encumbered by a lease or license and payments for use of the asset are made to someone other than the companyof the asset are made to someone other than the company
Normal facts and circumstances test will then applyNormal facts and circumstances test will then apply
6161
ExampleExample
Mr X wishes to use one of his shelf companies to trade Mr X wishes to use one of his shelf companies to trade propertyproperty
He has held one shelf company for 5 yearsHe has held one shelf company for 5 years He provides a guarantee to enable the shelf company to He provides a guarantee to enable the shelf company to
obtain a bank loan to buy a propertyobtain a bank loan to buy a property Sells the shares in the shelf company 6 months laterSells the shares in the shelf company 6 months later
S 9C will not apply as he is a connected person to the S 9C will not apply as he is a connected person to the shelf company & the MV of the company comprises fixed shelf company & the MV of the company comprises fixed propertyproperty
6262
Other s 9C provisionsOther s 9C provisions
Para 12 deemed disposals are disposals for s 9C Para 12 deemed disposals are disposals for s 9C purposespurposes
FIFO basis appliesFIFO basis applies
Roll-over rules generally apply except for s 42 (asset-for-Roll-over rules generally apply except for s 42 (asset-for-share transactions) and s 46 (unbundlings)share transactions) and s 46 (unbundlings)
Special provisions for securities lending arrangementsSpecial provisions for securities lending arrangements
Section 8B and 8C continue to applySection 8B and 8C continue to apply
6363
Retirement fund lump sum benefitsRetirement fund lump sum benefits
Para 1 of the Second SchedulePara 1 of the Second Schedule
Formula A deletedFormula A deleted
Lump sums on retirement or death accruing Lump sums on retirement or death accruing on/after 1/10/07on/after 1/10/07 tax-free portion calculated using Formula B: (Z=C+E-D) tax-free portion calculated using Formula B: (Z=C+E-D)
C = R300 000C = R300 000
D = previous exemptionsD = previous exemptions
E = disallowed contributions & pre-1/3/98 benefits from public-E = disallowed contributions & pre-1/3/98 benefits from public-sector pension fundssector pension funds
6464
ExampleExample
T retires from Big (Pty) Ltd on 1 December 2007 T retires from Big (Pty) Ltd on 1 December 2007
Member of the pension fund for 30 yearsMember of the pension fund for 30 years
Retirement lump sum = R900 000Retirement lump sum = R900 000
All contributions allowed as deductions and no All contributions allowed as deductions and no previously retirement lump sum previously retirement lump sum
The tax-free portion: The tax-free portion:
Z = C + E – D = 300 000 + 0 + 0 = R300 000 Z = C + E – D = 300 000 + 0 + 0 = R300 000
Taxable portion = R600 000Taxable portion = R600 000
6565
Tax rates for retirement and death lump Tax rates for retirement and death lump sums accruing on/after 1/10/07sums accruing on/after 1/10/07
Tax rate on any taxable retirement fund lump sum Tax rate on any taxable retirement fund lump sum benefit in respect of any year of assessment benefit in respect of any year of assessment ending on 29 February 2008:ending on 29 February 2008:
6666
Lump sum benefits: Lump sum benefits: other amendments (from 1/10/07)other amendments (from 1/10/07)
““Retirement funding employment” (RFE) excludes retirement fund Retirement funding employment” (RFE) excludes retirement fund lump sum benefits lump sum benefits
Rebates (s 6) may not be set off against tax on retirement fund Rebates (s 6) may not be set off against tax on retirement fund lump sum benefitslump sum benefits
RAF contributions (s 11(n)(A)): 15% of TI before s18, 18A RAF contributions (s 11(n)(A)): 15% of TI before s18, 18A excluding RFE income excluding RFE income and retirement lump sum benefits and retirement lump sum benefits
Medical deduction (s 18): 7,5% on TI excluding Medical deduction (s 18): 7,5% on TI excluding retirement lump retirement lump sum benefitssum benefits
Section 18A limit: 10% of TI excluding any retirement fund lump Section 18A limit: 10% of TI excluding any retirement fund lump sum benefitsum benefit
Assessed loss may not be set off against a retirement fund lump Assessed loss may not be set off against a retirement fund lump sum benefit (s 20 proviso (c))sum benefit (s 20 proviso (c))
No deduction of any expenses incurred in production of a No deduction of any expenses incurred in production of a retirement fund lump sum benefit (s 23(i))retirement fund lump sum benefit (s 23(i))
6767
Surplus apportionmentsSurplus apportionments
Lump sum distributions to former members after their Lump sum distributions to former members after their retirement, death, withdrawal or resignation from a retirement, death, withdrawal or resignation from a pension, provident or RA fund or the winding up of the pension, provident or RA fund or the winding up of the fundfund
To rectify past unfair practices (as previously referred to in para To rectify past unfair practices (as previously referred to in para 6(2))6(2))
NOT included in para (NOT included in para (ee) of the definition of ‘Gross ) of the definition of ‘Gross income’income’
Para 2C of the Second Schedule (w.e.f. Para 2C of the Second Schedule (w.e.f. 1/1/061/1/06) )
(Para 6(2)(deleted)(Para 6(2)(deleted)
6868
Membership of a public sector fund Membership of a public sector fund transferred to a private sector fund transferred to a private sector fund
Pre-1/3/98 benefits transferred to private sector fund are Pre-1/3/98 benefits transferred to private sector fund are preserved as tax-free preserved as tax-free
E in formula B amended to include these amountsE in formula B amended to include these amounts
same treatment on resignation/withdrawalsame treatment on resignation/withdrawal
6969
Withdrawal/ resignation lump sum Withdrawal/ resignation lump sum benefitsbenefits
Same treatment as previouslySame treatment as previously
Extension of pre-1/3/98 tax free benefits from Extension of pre-1/3/98 tax free benefits from public sector fundspublic sector funds
Taxable amount taxed according to s 5(10) Taxable amount taxed according to s 5(10) rating formularating formula
7070
Changes to definition of ‘pension fund’ Changes to definition of ‘pension fund’ and ‘retirement annuity’ fund (s 1)and ‘retirement annuity’ fund (s 1)
Rules of the fund:Rules of the fund:
Not more than 1/3 of total benefit may be commuted to a Not more than 1/3 of total benefit may be commuted to a lump sum (2/3 must be taken as an annuity)lump sum (2/3 must be taken as an annuity)
except whereexcept where 2/3 of the total value does not exceed R50000 2/3 of the total value does not exceed R50000 (i.e. total benefit not more than R75000) (previously (i.e. total benefit not more than R75000) (previously referred to annual annuities up to R1800)referred to annual annuities up to R1800)
Effective from commencement of years of assessment ending Effective from commencement of years of assessment ending on/after 1/1/08on/after 1/1/08
7171
PAYE on Lump sum benefitsPAYE on Lump sum benefits
Para 9 of the Fourth SchedulePara 9 of the Fourth Schedule PAYEPAYE must be withheld from lump-sum payments included must be withheld from lump-sum payments included
in para (in para (dd) or () or (ee) of the gross income definition or to which ) of the gross income definition or to which s7A(4A) applies s7A(4A) applies
BUT: No employees tax to be withheld from any para (e) lump BUT: No employees tax to be withheld from any para (e) lump sum if the individual’s taxable income excluding the lump sum sum if the individual’s taxable income excluding the lump sum for the previous year was below the tax threshold (for lump for the previous year was below the tax threshold (for lump sums accrued on/after 1/10/07)sums accrued on/after 1/10/07)
7272
Divorce settlementsDivorce settlements
Taxable in the hands of the fund member as a Taxable in the hands of the fund member as a withdrawal benefit on the date the amount withdrawal benefit on the date the amount becomes payablebecomes payable
Fund must pay PAYE in terms of a tax directiveFund must pay PAYE in terms of a tax directive
The Pension Funds Act has been amended to The Pension Funds Act has been amended to allow the fund to release the tax from the fund allow the fund to release the tax from the fund member’s benefit member’s benefit
In the case of a divorce order, the fund member In the case of a divorce order, the fund member will have a right of recovery of the tax he/she will have a right of recovery of the tax he/she has paidhas paid
7373
Occupational death benefitsOccupational death benefits
Up to R300 000 compensation on death arising Up to R300 000 compensation on death arising out of and in the course of employment out of and in the course of employment
if in addition to compensation if in addition to compensation paid in terms of paid in terms of the Workmen's Compensation Act, 1941 (Act 30 the Workmen's Compensation Act, 1941 (Act 30 of 1941) or the Compensation for Occupational of 1941) or the Compensation for Occupational Injuries and Diseases Act, 1993 (Act 130 of 1993)Injuries and Diseases Act, 1993 (Act 130 of 1993)
7474
183-day exemption (cont.)183-day exemption (cont.)
Employee must be absent for 183 full days Employee must be absent for 183 full days during any 12 month period commencing or during any 12 month period commencing or ending during ending during anyany year of assessment year of assessment
Remuneration received or accrued during a year Remuneration received or accrued during a year of assessment in respect of services rendered in of assessment in respect of services rendered in more than one year of assessment is deemed to more than one year of assessment is deemed to have accrued evenly over the period that those have accrued evenly over the period that those services were renderedservices were rendered
Effective from the commencement of years of assessment Effective from the commencement of years of assessment ending on or after 1 January 2008ending on or after 1 January 2008
7575
183-day exemption 183-day exemption (s 10(1)((s 10(1)(oo)(ii)))(ii))
Remuneration received by/ accruing to an Remuneration received by/ accruing to an employeeemployee By way of -By way of -
salary, leave pay, wage, overtime pay, bonus, gratuity, salary, leave pay, wage, overtime pay, bonus, gratuity, commission, fee, emolumentcommission, fee, emolument
para (para (ii) fringe benefits) fringe benefits
sections 8B and 8Csections 8B and 8C
Doesn’t include Doesn’t include pension, superannuation allowance, retiring allowance or stipend pension, superannuation allowance, retiring allowance or stipend
para (para (ccA), (A), (dd), (), (ee), (), (eeA) or (A) or (ff) amounts if not for services rendered) amounts if not for services rendered
7676
Deduction for annuities (Deduction for annuities (s 11(s 11(mm)) ))
Deduction of annuity payments to a dependent Deduction of annuity payments to a dependent of a former employee or partner of the taxpayer of a former employee or partner of the taxpayer was limited to R2 500 per year was limited to R2 500 per year The limitation has been removed with effect from the The limitation has been removed with effect from the
commencement of years of assessment ending on or after commencement of years of assessment ending on or after 1 January 2008. 1 January 2008.
7777
Connected person limitationConnected person limitation
Deemed cost provisions replaced by s 23J Deemed cost provisions replaced by s 23J S 11(S 11(ee)(viii))(viii)
S 11(S 11(ggC) proviso para (bb)C) proviso para (bb)
S 12B(4A)S 12B(4A)
S 12C(4)S 12C(4)
No s 11(o) allowance for sales between No s 11(o) allowance for sales between connected personsconnected persons
7878
Asset purchased from a connected Asset purchased from a connected person (s 23J)person (s 23J)
Depreciable tax cost of an asset purchased from Depreciable tax cost of an asset purchased from a connected person is the sum ofa connected person is the sum of The cost (taking into account any subsequent tax The cost (taking into account any subsequent tax
adjustments) of the depreciable asset to the connected adjustments) of the depreciable asset to the connected person seller; person seller;
Less: tax allowancesLess: tax allowances
Add: ordinary revenue triggered upon the connected person Add: ordinary revenue triggered upon the connected person sale as well as any inclusion stemming from the capital gain sale as well as any inclusion stemming from the capital gain triggered on the saletriggered on the sale
7979
ExampleExample
Co. X owns 60% of Co Y and Co ZCo. X owns 60% of Co Y and Co Z
Y sells depreciable equipment to Z Y sells depreciable equipment to Z
Y initially purchased the equipment for R100; TV Y initially purchased the equipment for R100; TV = R70= R70
Y sells the equipment to Z for R110 Y sells the equipment to Z for R110 R30 recoupment R30 recoupment
R10 capital gain = R5 taxable capital gain (50%) R10 capital gain = R5 taxable capital gain (50%)
Z’s depreciable cost = R105Z’s depreciable cost = R105
8080
Deduction for commercial buildings Deduction for commercial buildings (s 13(s 13quin)quin)
5% p.a. of the cost to the taxpayer5% p.a. of the cost to the taxpayer
New and unused buildings & improvementsNew and unused buildings & improvements
Wholly or mainly used by the taxpayer during the year of Wholly or mainly used by the taxpayer during the year of assessment for purposes of producing income in the assessment for purposes of producing income in the course of trade, other than the provision of residential course of trade, other than the provision of residential accommodationaccommodation
Other deductions take precedenceOther deductions take precedence
Applies to buildings contracted for on or after 1/4/07 and Applies to buildings contracted for on or after 1/4/07 and construction, erection or installation commenced on or construction, erection or installation commenced on or after that dateafter that date
8181
Deductions for environmental Deductions for environmental expenditure (s 37B)expenditure (s 37B)
Capital allowance on new and unused Capital allowance on new and unused environmental production assets (waste treatment and recycling environmental production assets (waste treatment and recycling
facilities & improvements) (40:20:20:20 rate); and facilities & improvements) (40:20:20:20 rate); and
postproduction assets (waste dumps and dams & improvements) postproduction assets (waste dumps and dams & improvements) (5% p.a.)(5% p.a.)
If ancillary to manufacturing or similar process of a If ancillary to manufacturing or similar process of a permanent nature (moveable assets covered by s 11(permanent nature (moveable assets covered by s 11(ee))))
Assets must be used to meet legal environmental Assets must be used to meet legal environmental obligationsobligations
8282
Medical expenses paid by Medical expenses paid by employeremployer
Employees required to undergo medical check-ups in terms Employees required to undergo medical check-ups in terms of employer’s policy or legislation of employer’s policy or legislation
if the employer pays, a fringe benefit arises and is taxed if the employer pays, a fringe benefit arises and is taxed (code 3813) (code 3813)
Deemed expense for the employee (code 4024) – can Deemed expense for the employee (code 4024) – can deduct excess over 7,5% of taxable incomededuct excess over 7,5% of taxable income
Exemption if services rendered or medicines supplied Exemption if services rendered or medicines supplied are required by laware required by law
8383
Qualifying medical expenses Qualifying medical expenses (s 18(1)((s 18(1)(bb), (c) & (), (c) & (dd))))
““Taxpayer, spouse and children” extended to Taxpayer, spouse and children” extended to include dependants include dependants
ifif admitted as a dependant of the taxpayer’s admitted as a dependant of the taxpayer’s medical aid fundmedical aid fund
8484
Donations (s 18A) Donations (s 18A)
Limit increased to 10% of taxable incomeLimit increased to 10% of taxable income
Heading amendedHeading amended
8585
Residential accommodationResidential accommodation
Taxable unless employee is away from Taxable unless employee is away from usual place of usual place of residenceresidence for the purposes of performing his/her for the purposes of performing his/her employment duties employment duties ITC ITC 18071807 – 32 month period accepted – 32 month period accepted
Para 9(7) exemption: 1 year limit if usual place of Para 9(7) exemption: 1 year limit if usual place of residence is outside the Republicresidence is outside the Republic
Effective 1/3/08Effective 1/3/08
8686
Residential accommodationResidential accommodation
Para 9(3) formula:Para 9(3) formula: B increased from R40000 to R43000 from 1/3/07B increased from R40000 to R43000 from 1/3/07
i.e. no tax if employee’s remuneration is less than the tax i.e. no tax if employee’s remuneration is less than the tax thresholdthreshold
8787
Prohibition of deductions on certain Prohibition of deductions on certain intellectual property (s 23I)intellectual property (s 23I)
““Affected intellectual property” Affected intellectual property” involves a connected person (with lower threshold)involves a connected person (with lower threshold)
No deduction for royalties, etc if they are not No deduction for royalties, etc if they are not taxed in the recipient’s handstaxed in the recipient’s hands 1/3 deduction if the royalties are subject to s 35 withholding 1/3 deduction if the royalties are subject to s 35 withholding
tax (12 %)tax (12 %)
8888
““Intellectual property”Intellectual property”
patent patent
designdesign
trade mark trade mark
copyright copyright
invention, patent, design, trade mark or copyright defined invention, patent, design, trade mark or copyright defined or described in any similar law of any foreign country or described in any similar law of any foreign country
property or right of a similar nature property or right of a similar nature
knowledge connected to the use of propertyknowledge connected to the use of property
8989
ExampleExample
IP developed by resident; assigned to non-residentIP developed by resident; assigned to non-resident Non-resident allows the resident’s company to use the Non-resident allows the resident’s company to use the
patent an annual licence fee of R1mpatent an annual licence fee of R1m
12% withholding tax on royalty payments 12% withholding tax on royalty payments Royalty receipts exempt in the hands of the licensor Royalty receipts exempt in the hands of the licensor
(s 10 (1)((s 10 (1)(ll)))) Deductions for the SA licensee are reduced from Deductions for the SA licensee are reduced from
R1million to R333 333 i.t.o. s 23I (2)(R1million to R333 333 i.t.o. s 23I (2)(aa))
9090
Anti-avoidance (s 23I(2)(Anti-avoidance (s 23I(2)(bb))))
Taxpayers prevented from interposing a third party that Taxpayers prevented from interposing a third party that converts royalty streams into financial instruments converts royalty streams into financial instruments (e.g. promissory notes and credit default swaps) and on-(e.g. promissory notes and credit default swaps) and on-routing these payments to entities with lower effective routing these payments to entities with lower effective tax ratestax rates
Example Example Licence: Promissory notes for royalties are discounted by the Licence: Promissory notes for royalties are discounted by the
licensor to a tax exempt entity or fund licensor to a tax exempt entity or fund
Deduction denied i.t.o. ss 23I(2)(Deduction denied i.t.o. ss 23I(2)(aa) and/or () and/or (bb) )
9191
Foreign tax relief – s 6Foreign tax relief – s 6quatquat
Now permitted to deduct foreign taxes on SA-source Now permitted to deduct foreign taxes on SA-source activitiesactivities services within SA but foreign government imposes services within SA but foreign government imposes
withholding taxwithholding tax
Limited to related taxable incomeLimited to related taxable income
Replaces s 11C(4) & (5)Replaces s 11C(4) & (5)
9292
Research and development Research and development allowance (s 11D)allowance (s 11D)
Recoupment – s 8(4)(a) N/A to s 11D(1)Recoupment – s 8(4)(a) N/A to s 11D(1)
Scrapping allowance – s 11(o)Scrapping allowance – s 11(o)
Pre-trade expenses – s 11APre-trade expenses – s 11A
Limitation for sale & leaseback transactions – s 23DLimitation for sale & leaseback transactions – s 23D
Reinvestment in replacement assets - Para 66 of the Eighth Reinvestment in replacement assets - Para 66 of the Eighth Schedule Schedule
Effective 2/11/06Effective 2/11/06
9393
Amendments to s 11DAmendments to s 11D
Asset must be Asset must be Owned by the taxpayer or acquired i.t.o an instalment credit Owned by the taxpayer or acquired i.t.o an instalment credit
agreementagreement
Brought into use for the 1Brought into use for the 1stst time time
Used solely and directly for qualifying R&D (NB “part of a Used solely and directly for qualifying R&D (NB “part of a building”)building”)
If expenditure qualifies for both the 150% deduction If expenditure qualifies for both the 150% deduction and the 50/30/20 allowance, the capital allowance and the 50/30/20 allowance, the capital allowance takes precedencetakes precedence
S 11D(6) – taxpayer can elect that another capital S 11D(6) – taxpayer can elect that another capital allowance applies (if the asset qualifies)allowance applies (if the asset qualifies)
9494
Foreign currency transactionsForeign currency transactions
Exchange difference subject to s 24I(7A) (10% Exchange difference subject to s 24I(7A) (10% p.a.) cannot be subject to s 24I(10) (deferral of p.a.) cannot be subject to s 24I(10) (deferral of exchange differences until loans are realised)exchange differences until loans are realised) NB: s 24I(7A) applies to loans granted in any YOA ending NB: s 24I(7A) applies to loans granted in any YOA ending
before 8/11/05before 8/11/05
9595
Dividend stripping / extraordinary div’sDividend stripping / extraordinary div’s(para 19 of Eighth Schedule)(para 19 of Eighth Schedule)
Capital loss disregarded Capital loss disregarded
up to the amount of the up to the amount of the extraordinary dividendextraordinary dividend
distributed within 2 years distributed within 2 years before before disposaldisposal of the share of the share
9696
ExampleExample
H Co purchased 100% of S Co for R20 million in 2000H Co purchased 100% of S Co for R20 million in 2000 S Co has increased in value to R35 millionS Co has increased in value to R35 million 15/3/2008: S Co distributes R20 million to H Co & H 15/3/2008: S Co distributes R20 million to H Co & H
Co then sells the S Co shares for R15 million Co then sells the S Co shares for R15 million (R5 million loss)(R5 million loss) Extraordinary dividend = amount exceeding 15% Extraordinary dividend = amount exceeding 15%
of the R15 million proceeds (R20m – 2.25m = of the R15 million proceeds (R20m – 2.25m = R17.75m)R17.75m)
H Co must disregard the R5 million loss (up to the H Co must disregard the R5 million loss (up to the amount of the extraordinary dividend)amount of the extraordinary dividend)
9797
Capital distributions (paras 76 and Capital distributions (paras 76 and 76A of the Eighth Schedule)76A of the Eighth Schedule)
Previously deferred, i.e.Previously deferred, i.e. distributions on or after 1/10/01 were added to proceeds on the distributions on or after 1/10/01 were added to proceeds on the
eventual disposal of the shares eventual disposal of the shares
pre-2001 distributions reduced base cost of the sharepre-2001 distributions reduced base cost of the share
From 1/10/07: each capital distribution will trigger a From 1/10/07: each capital distribution will trigger a part-disposalpart-disposal
Distributions before 1/10/07 will be deemed to trigger Distributions before 1/10/07 will be deemed to trigger a part disposal on 1 July 2011a part disposal on 1 July 2011
9898
ExampleExample
Taxpayer acquired a share for R120 in 2002; Taxpayer acquired a share for R120 in 2002; now has a value of R200now has a value of R200
Taxpayer receives a capital distribution of Taxpayer receives a capital distribution of R20 in July 2009R20 in July 2009
Capital distribution gives rise to a part-Capital distribution gives rise to a part-disposal. 10% of base cost (10% x R120) is disposal. 10% of base cost (10% x R120) is allocated to the part-disposal allocated to the part-disposal
Capital gain = R20 – R12 = R8Capital gain = R20 – R12 = R8
9999
Sporting bodies (s 11E)Sporting bodies (s 11E)
National sporting organisations can amalgamate National sporting organisations can amalgamate amateur and professional divisions before 31/12/09amateur and professional divisions before 31/12/09
professional arm’s disposal of all its assets to the professional arm’s disposal of all its assets to the amateur arm will be tax neutral amateur arm will be tax neutral
professional arm then ceases to existprofessional arm then ceases to exist
amalgamated entity will be taxableamalgamated entity will be taxable
Section 11E: special deduction for non-capital Section 11E: special deduction for non-capital expenditure incurred on development and promotion expenditure incurred on development and promotion of qualifying amateur sport of qualifying amateur sport
100100
Withholding of CGT from payments to non-Withholding of CGT from payments to non-resident sellers of immovable property (s 35A)resident sellers of immovable property (s 35A)
Disposals on/after 1/9/07Disposals on/after 1/9/07 5% of the amount payable if the seller is a natural person5% of the amount payable if the seller is a natural person
7,5% of the amount payable if the seller is a company7,5% of the amount payable if the seller is a company
10% of the amount payable if the seller is a trust10% of the amount payable if the seller is a trust
If the selling price of the property exceeds If the selling price of the property exceeds R2 million R2 million
101101
Waiver of debtWaiver of debt
Regulations published 13 April 2007Regulations published 13 April 2007
102102
THANK YOU!THANK YOU!