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tax law

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TAX UPDATE - 2011 FOURTH QUARTER
Thursday, January 19, 2012

TAX UPDATE - 2011 THIRD QUARTER
Monday, October 17, 2011

AUGUST 2011 TAX NEWSLETTER
Tuesday, August 30, 2011

A draft Taxation Laws Amendment Bill of 2011 was publicly released on 2 June 2011, which contained many far reaching changes. The Bill proposed provisions with retrospective effect, for example th 18-month suspension of section 45 (intra group transactions) of the Income Tax Act, no 58 of 1962 ("the ITA").

DRAFT CUSTOMS CONTROL BILL RELEASED FOR SHORT SECOND ROUND OF COMMENT
Tuesday, August 23, 2011

The Customs and Excise Act No. 91 of 1964 (“Act 91 of 1964”) is in the process of being re-written in its entirety. Once the re-write process is complete, Act 91 of 1964 will be superseded and will be replaced by a Customs Duty Act; a Customs Control Act and an Excise Duty Act. On 18 April 2011 a second draft of the Customs Control Bill (“Draft Customs Control Bill”) was released for a short round of comment. Comments are due by 16 May 2011.

REVISED PROPOSALS REGARDING HYBRID EQUITY INSTRUMENTS AND THIRD PARTY BACKED SHARES - SECTIONS 8E AND 8EA
Thursday, August 11, 2011

One of the proposed amendments was intended to increase the redemption period central to the application of section 8E from 3 years to 10 years. If the proposal became law, it would have meant that in order to avoid the application of section 8E, an investor would have had to hold a share for at least 10 years and a day before redemption, which usually would not be feasible. Another proposal relating to section 8E was intended to extend the application of section 8E to foreign dividends, with the consequence that both domestic and foreign dividends received or accrued in respect of a hybrid equity instrument would be deemed to be interest in relation to their recipient. The reaction to the proposal to increase the redemption period was that it would place many funding structures at risk.

INTEREST DEDUCTIBILITY ON SECTION 44, 45 AND 47 TRANSACTIONS
Friday, August 05, 2011

Section 45 allows the transfer of assets within a group of companies tax-free. The section gives companies “roll-over relief” and facilitates transfers between group companies.

TAX UPDATE - 2011 SECOND QUARTER
Friday, July 08, 2011

THE PROPOSED SUSPENSION OF SECTION 45 OF THE INCOME TAX ACT (INTRA-GROUP TRANSACTIONS)
Friday, June 10, 2011

On 2 June 2011, National Treasury released the Draft Taxation Laws Amendment Bill 2011 for public comment (“the Bill”). Amongst the various amendments giving effect to the 2011 Budget Review tax proposals, the Bill also contains anti-avoidance measures one of which includes a proposed “suspension” of section 45 of the Income Tax Act with immediate effect.

SARS ATTACKS PREFERENCE SHARE FUNDING
Wednesday, June 08, 2011

Section 8E of the Act, in its present form, acts as an anti-avoidance mechanism in circumstances where dividends are issued on so-called “hybrid equity instruments”, typically preference shares which exhibit elements of both equity shares and loans. Dividends declared on these instruments are taxed as if they are interest in the hands of the holder but no deduction is allowed for the issuer.

TAX UPDATE - 2011 FIRST QUARTER
Friday, April 15, 2011

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Bowman Gilfillan has formed an association with Coulson Harney Advocates, a corporate and commercial law firm in Kenya. The association provides Coulson Harney with a springboard for its involvement in legal advisory work around Africa.
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Bowman Gilfillan is proud to be one of the first large commercial firms to develop and implement a comprehensive pro bono policy.  In accordance with this policy we pursue meritorious public-law cases and act for indigent clients in a number of ongoing matters.  As a responsible corporate citizen, Bowman Gilfillan encourages its practitioners to seek to provide legal services to deserving organisations and individuals on a pro bono (free) basis.  A number of pro bono matters have been taken on in a wide variety of fields, from education to healthcare and other social services and partnerships have been established with recognised public interest legal services providers such as the Legal Resources Centre and the Aids Law Project.

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