- The South African government has issued two pieces of draft tax legislation that are open for public comment until 31 August 2023.
- Taxpayers and their representatives will want to become familiar with the proposals and consider commenting on them.
- This Tax Alert highlights the key proposals in each piece of legislation.
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Introduction
The National Treasury and the South African Revenue Service (SARS) published, on 31 July, the 2023 draft Taxation Laws Amendment Bill (2023 Draft TLAB) and 2023 draft Tax Administration Laws Amendment Bill (2023 Draft TALAB) for public comment.
2023 Draft TLAB — summary
Key tax proposals contained in the 2023 Draft TLAB include:
- Tax incentive proposals relating to renewable energy, research and development, and the Urban Development Zone
- Adjusting the minimum royalty rate for oil and gas companies
- Codifying the interest deductibility principles contained in Practice Note 31 of 1994
- Clarifying anti-avoidance rules dealing with third-party-backed shares
- Refining the provisions applicable to unbundling transactions
- Clarifying the foreign business establishment (FBE) exemption for controlled foreign companies (CFCs)
- Refining the participation exemption for the sale of shares in foreign companies
- Two value-added tax (VAT) provisions, namely reviewing the VAT treatment of specific supplies in the short-term insurance industry and clarifying the VAT treatment of prepaid vouchers in the telecommunications industry
The draft legislation clarifying the FBE exemption proposes that the FBE definition be amended to read that all the important functions of the business for which the CFC is compensated must effectively be in-sourced and performed in-country. Essentially, this means that companies relying on outsourced operating models where primary functions are outsourced and performed in other countries will not be able to access an FBE exemption. If implemented in its current form, the legislation could have a significant impact on the cost of doing business when expanding offshore, because certain functions cannot be centralized.
2023 draft TALAB
Key tax proposals contained in the 2023 Draft TALAB include:
- Advance Pricing Agreement (APA) program1
- Employees' tax registration requirement for non-resident employers
- Variation of employees' tax withholding in respect of remuneration
- Expanding the general disclosure provisions for section 18A approved organizations2
- Alignment with anti-money laundering and combatting terrorism developments
Other notable proposals
Other notable proposals include:
- Draft Regulations in terms of paragraph (d) of the definition of "Research and Development" in section 11D(1) of the Income Tax Act on additional criteria for multisource pharmaceutical products
- Draft Regulations in terms of paragraph (e) of the definition of "Research and Development" in section 11D(1) of the Income Tax Act on criteria for clinical trials in respect of deductions for research and development
- Draft Regulations on domestic reverse charge relating to valuable metal in terms of section 74(2) of the VAT Act, 1991
- Draft Carbon Offset Regulations
Due date for comments
The public has been invited to provide written input on any of the above to National Treasury and SARS by close of business on 31 August 2023.
For additional information with respect to this Alert, please contact the following:
Ernst & Young Advisory Services (Pty) Ltd.
- Ekow Eghan, Africa Head of Tax
- Michiel Els, Partner & Transfer Pricing Leader
- Ide Louw, Partner, International Tax and Transaction Services
- Redge de Swardt, Partner & Indirect Tax Leader
- Corlie Hazell, Partner, Business Tax Services
- Duane Newman, Partner, EY Cova
- Michelle Kotze, Partner, People Advisory Services
Ernst & Young LLP (United States), Pan African Tax Desk, New York
- Brigitte Keirby-Smith, Partner
Published by NTD's Tax Technical Knowledge Services group; Carolyn Wright, legal editor
For a full listing of contacts and email addresses, please click on the Tax News Update: Global Edition (GTNU) version of this Alert.