S.Africa: Does a tax audit constitute “administrative action” under PAJA
This is a reprint of an earlier article – but still very relevant today: What follows is a discussion that is relevant to South African tax law,
This is a reprint of an earlier article – but still very relevant today: What follows is a discussion that is relevant to South African tax law,
Foreword to a series of papers on managing tax risk post BEPS The TRM Seven Steps Special Report is based on more than 120 lectures presented
UN handbook on tax avoidance includes new chapters on rents, royalties, GAAR This is relevant to developing nations in Africa September 11, 2017 Featured News, Transfer Pricing
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Constitutional law Invalidity of legislation for failure to facilitate adequate public involvement in the legislative process: The Restitution of Land Rights Act 22 of 1994,
India and Korea: New memorandum suspends tax collection during MAP India and South Korea have signed a new MoU [memorandum of understanding] tax treaty on
TP Minds – Americas – Feb 22-25, 2016 Miami I am a confirmed speaker and SILVER sponsor at TP Minds Americas 2016, taking place at
What follows is the SARS version. The correct explanation appears below: MUTUAL AGREEMENT PROCEDURE (MAP) What is a MAP? MAP is a procedure which