A South African perspective on value-added tax on international mobile telecommunication services

The purpose of the article is to explore the VAT practices of mobile telecommunication service providers in South Africa. First, literature dealing with the general VAT principles in South Africa such as the VAT Act No. 89 of 1991 and that of other countries was considered, where after the Melbourne...

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Main Authors: Anculien H. Schoeman, Theuns L. Steyn, Karl Homeier
Format: Article
Language:English
Published: AOSIS 2015-12-01
Series:Journal of Economic and Financial Sciences
Subjects:
Online Access:https://jefjournal.org.za/index.php/jef/article/view/126
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spelling doaj-b3bc5f32171142ad9a08e08cd4ef3b2f2021-02-02T04:10:39ZengAOSISJournal of Economic and Financial Sciences1995-70762312-28032015-12-018310.4102/jef.v8i3.126123A South African perspective on value-added tax on international mobile telecommunication servicesAnculien H. Schoeman0Theuns L. Steyn1Karl Homeier2Department of Taxation, University of PretoriaDepartment of Taxation, University of PretoriaDepartment of Taxation, University of PretoriaThe purpose of the article is to explore the VAT practices of mobile telecommunication service providers in South Africa. First, literature dealing with the general VAT principles in South Africa such as the VAT Act No. 89 of 1991 and that of other countries was considered, where after the Melbourne Agreement, which specifically deals with the VAT on international telecommunication services, was considered. As the provisions of the general VAT principles as portrayed in the VAT Act (89/1991) and those of the Melbourne Agreement differ, the tax managers at three major South African telecommunication service providers were interviewed to determine which principles they apply in practice. From the interviews conducted, it was clear that South African telecommunication service providers apply the principles of the Melbourne Agreement and levy VAT at 14% on international telecommunications services provided to its customers and VAT at 0% to foreign network operators for services rendered to non-residents while in South Africa. This is, however, contrary to the normal VAT principles that a service is zero-rated when a service is exported and consumed outside of South Africa and VAT levied at 14% when the service is provided to a non-resident present in South Africa at the time the service is rendered.https://jefjournal.org.za/index.php/jef/article/view/126place of supplytelecommunication servicesvalue-added taxinternational roamingMelbourne Agreementcellular phonedouble taxation
collection DOAJ
language English
format Article
sources DOAJ
author Anculien H. Schoeman
Theuns L. Steyn
Karl Homeier
spellingShingle Anculien H. Schoeman
Theuns L. Steyn
Karl Homeier
A South African perspective on value-added tax on international mobile telecommunication services
Journal of Economic and Financial Sciences
place of supply
telecommunication services
value-added tax
international roaming
Melbourne Agreement
cellular phone
double taxation
author_facet Anculien H. Schoeman
Theuns L. Steyn
Karl Homeier
author_sort Anculien H. Schoeman
title A South African perspective on value-added tax on international mobile telecommunication services
title_short A South African perspective on value-added tax on international mobile telecommunication services
title_full A South African perspective on value-added tax on international mobile telecommunication services
title_fullStr A South African perspective on value-added tax on international mobile telecommunication services
title_full_unstemmed A South African perspective on value-added tax on international mobile telecommunication services
title_sort south african perspective on value-added tax on international mobile telecommunication services
publisher AOSIS
series Journal of Economic and Financial Sciences
issn 1995-7076
2312-2803
publishDate 2015-12-01
description The purpose of the article is to explore the VAT practices of mobile telecommunication service providers in South Africa. First, literature dealing with the general VAT principles in South Africa such as the VAT Act No. 89 of 1991 and that of other countries was considered, where after the Melbourne Agreement, which specifically deals with the VAT on international telecommunication services, was considered. As the provisions of the general VAT principles as portrayed in the VAT Act (89/1991) and those of the Melbourne Agreement differ, the tax managers at three major South African telecommunication service providers were interviewed to determine which principles they apply in practice. From the interviews conducted, it was clear that South African telecommunication service providers apply the principles of the Melbourne Agreement and levy VAT at 14% on international telecommunications services provided to its customers and VAT at 0% to foreign network operators for services rendered to non-residents while in South Africa. This is, however, contrary to the normal VAT principles that a service is zero-rated when a service is exported and consumed outside of South Africa and VAT levied at 14% when the service is provided to a non-resident present in South Africa at the time the service is rendered.
topic place of supply
telecommunication services
value-added tax
international roaming
Melbourne Agreement
cellular phone
double taxation
url https://jefjournal.org.za/index.php/jef/article/view/126
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