Boerdery vs SARS: CASE SUMMARY
CASE SUMMARY:
In Boerdery v SARS, the South African Tax Court addressed the tax treatment of substantial insurance premiums paid by Taxpayer Boerdery to Company XYZ Insurance Company. Boerdery, a farming enterprise, claimed tax deductions on the premiums, contending they qualified as legitimate insurance expenses under section 11(a) of the Income Tax Act, which allows for deductions of expenses that are “actually incurred in the production of income.”
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