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How trusts preserve generational wealth

Ceasing to be a South African (SA) tax resident prior to retirement from a South African retirement fund and becoming a tax resident of another country, may, on payment of a lump sum or monthly pension, cause the interest to be subject to tax in the other country.

By |2024-07-03T05:57:35+00:00January 15, 2024|News|0 Comments

Desember 2023

Ceasing to be a South African (SA) tax resident prior to retirement from a South African retirement fund and becoming a tax resident of another country, may, on payment of a lump sum or monthly pension, cause the interest to be subject to tax in the other country.

By |2024-07-03T05:58:35+00:00January 15, 2024|News|0 Comments

Ring-fencing trading losses

Ceasing to be a South African (SA) tax resident prior to retirement from a South African retirement fund and becoming a tax resident of another country, may, on payment of a lump sum or monthly pension, cause the interest to be subject to tax in the other country.

By |2024-07-03T06:00:40+00:00January 12, 2024|News|0 Comments

Disclose your defaults before SARS finds them!

Ceasing to be a South African (SA) tax resident prior to retirement from a South African retirement fund and becoming a tax resident of another country, may, on payment of a lump sum or monthly pension, cause the interest to be subject to tax in the other country.

By |2024-07-03T06:01:41+00:00September 15, 2023|News|0 Comments

September 2023

Ceasing to be a South African (SA) tax resident prior to retirement from a South African retirement fund and becoming a tax resident of another country, may, on payment of a lump sum or monthly pension, cause the interest to be subject to tax in the other country.

By |2024-07-03T06:03:45+00:00September 15, 2023|News|0 Comments

Is your disclosure “voluntary”?

In December 2021, the Supreme Court of Appeal (SCA) handed down a judgment dismissing an appeal against a decision of the Tax Court. The issue before the SCA was whether the South African Revenue Services (SARS) was correct in rejecting...

By |2024-07-03T06:06:53+00:00January 26, 2022|News|0 Comments
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