The alluvial diamond industry : a critical analysis of the capital cost allowances

The purpose of the study was to critically analyse sections 15 and 36 of the South African Income Tax Act which deals with capital allowances for mining taxpayers from an alluvial diamond miners’ perspective. The South African analysis was also compared to that of Canada and Namibia. In the analysis...

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Main Author: Van Zuydam, Henk Johan
Other Authors: Ms D Pieterse
Published: 2013
Subjects:
Online Access:http://hdl.handle.net/2263/25548
Van Zuydam, HJ 2008, The alluvial diamond industry : a critical analysis of the capital cost allowances, MCom dissertation, University of Pretoria, Pretoria, viewed yymmdd < http://hdl.handle.net/2263/25548 >
http://upetd.up.ac.za/thesis/available/etd-06152009-150607/
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spelling ndltd-netd.ac.za-oai-union.ndltd.org-up-oai-repository.up.ac.za-2263-255482017-07-20T04:10:49Z The alluvial diamond industry : a critical analysis of the capital cost allowances Van Zuydam, Henk Johan Ms D Pieterse henk@sdkca.co.za Capital cost Diamond industry Taxpayers South africa Sars South africa income tax act UCTD The purpose of the study was to critically analyse sections 15 and 36 of the South African Income Tax Act which deals with capital allowances for mining taxpayers from an alluvial diamond miners’ perspective. The South African analysis was also compared to that of Canada and Namibia. In the analysis it was found that the ring fencing provisos in section 36 is unfair towards the alluvial diamond mine due to the potential loss of capital cost allowances and that there are grey areas in this proviso that may lead to disputes between SARS and the taxpayer. It was also found that the cross over from prospecting to mining activities in relation to alluvial diamond mining presents a grey area which might lead to disputes between the tax payer and SARS. It was also found that there is no case law, SARS interpretation notes or practise notes on the application of these sections to provide certainty as to the tax payers’ position. It was recommended that SARS and treasury evaluate and address the identified grey areas and short comings in the current legislation and practises to ensure a fair and equitable tax dispensation for the alluvial diamond miners. Copyright Dissertation (MCom)--University of Pretoria, 2009. Taxation unrestricted 2013-09-06T22:23:39Z 2009-06-30 2013-09-06T22:23:39Z 2009-04-20 2009-06-30 2009-06-15 Dissertation http://hdl.handle.net/2263/25548 Van Zuydam, HJ 2008, The alluvial diamond industry : a critical analysis of the capital cost allowances, MCom dissertation, University of Pretoria, Pretoria, viewed yymmdd < http://hdl.handle.net/2263/25548 > E1279/gm http://upetd.up.ac.za/thesis/available/etd-06152009-150607/ © 2008, University of Pretoria. All rights reserved. The copyright in this work vests in the University of Pretoria. No part of this work may be reproduced or transmitted in any form or by any means, without the prior written permission of the University of Pretoria
collection NDLTD
sources NDLTD
topic Capital cost
Diamond industry
Taxpayers
South africa
Sars
South africa income tax act
UCTD
spellingShingle Capital cost
Diamond industry
Taxpayers
South africa
Sars
South africa income tax act
UCTD
Van Zuydam, Henk Johan
The alluvial diamond industry : a critical analysis of the capital cost allowances
description The purpose of the study was to critically analyse sections 15 and 36 of the South African Income Tax Act which deals with capital allowances for mining taxpayers from an alluvial diamond miners’ perspective. The South African analysis was also compared to that of Canada and Namibia. In the analysis it was found that the ring fencing provisos in section 36 is unfair towards the alluvial diamond mine due to the potential loss of capital cost allowances and that there are grey areas in this proviso that may lead to disputes between SARS and the taxpayer. It was also found that the cross over from prospecting to mining activities in relation to alluvial diamond mining presents a grey area which might lead to disputes between the tax payer and SARS. It was also found that there is no case law, SARS interpretation notes or practise notes on the application of these sections to provide certainty as to the tax payers’ position. It was recommended that SARS and treasury evaluate and address the identified grey areas and short comings in the current legislation and practises to ensure a fair and equitable tax dispensation for the alluvial diamond miners. Copyright === Dissertation (MCom)--University of Pretoria, 2009. === Taxation === unrestricted
author2 Ms D Pieterse
author_facet Ms D Pieterse
Van Zuydam, Henk Johan
author Van Zuydam, Henk Johan
author_sort Van Zuydam, Henk Johan
title The alluvial diamond industry : a critical analysis of the capital cost allowances
title_short The alluvial diamond industry : a critical analysis of the capital cost allowances
title_full The alluvial diamond industry : a critical analysis of the capital cost allowances
title_fullStr The alluvial diamond industry : a critical analysis of the capital cost allowances
title_full_unstemmed The alluvial diamond industry : a critical analysis of the capital cost allowances
title_sort alluvial diamond industry : a critical analysis of the capital cost allowances
publishDate 2013
url http://hdl.handle.net/2263/25548
Van Zuydam, HJ 2008, The alluvial diamond industry : a critical analysis of the capital cost allowances, MCom dissertation, University of Pretoria, Pretoria, viewed yymmdd < http://hdl.handle.net/2263/25548 >
http://upetd.up.ac.za/thesis/available/etd-06152009-150607/
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