Die verkoop van 'n besigheid as lopende saak: Belasting en arbeidsreg probleme met “voorsienings”

Journal of Economic and Financial Sciences

 
 
Field Value
 
Title Die verkoop van 'n besigheid as lopende saak: Belasting en arbeidsreg probleme met “voorsienings”
 
Creator Kieviet, Suzanne
 
Subject belastingaftrekbaarheid; onderneming; inkomstebelastingwet; lopende saak; voorwaardelike aanspreeklikhede; voorsienings; werknemerverwante
Description The amounts set aside for the provision for employee-related contingent liabilities, such as the provision for leave pay, are often considerable. According to current Income Tax law, it is highly unlikely that the former employer (seller) will enjoy a tax deduction. Furthermore, it is also unlikely that the prospective employer (buyer) will enjoy a tax deduction. In contrast to this, both the former and prospective employers are held liable according to the Labour Relations Act in cases where a business is sold as a going concern. This article concludes that the Draft Taxation Laws Amendment Bill 2011, as envisioned, finally provides clear tax legislation, but still needs to be aligned with the objectives of the Labour Relations Act. In doing so, contradictory legislation will be avoided, thus facilitating the transfer of businesses and achieving the protection of employees’ work security.
 
Publisher AOSIS
 
Contributor
Date 2011-10-31
 
Type info:eu-repo/semantics/article info:eu-repo/semantics/publishedVersion —
Format application/pdf
Identifier 10.4102/jef.v4i2.330
 
Source Journal of Economic and Financial Sciences; Vol 4, No 2 (2011); 433-448 2312-2803 1995-7076
 
Language eng
 
Relation
The following web links (URLs) may trigger a file download or direct you to an alternative webpage to gain access to a publication file format of the published article:

https://jefjournal.org.za/index.php/jef/article/view/330/413
 
Rights Copyright (c) 2018 Suzanne Kieviet https://creativecommons.org/licenses/by/4.0
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