South Africa has Published a Draft Interpretation Note on Special Tax Relief for Holding Companies and the Related Anti-Avoidance Rules

The South African Revenue Service has recently published a draft interpretation note covering the special tax relief provisions for holding companies, as well as the related anti-avoidance rules designed to prevent misuse or abuse of those provisions.
According to the draft interpretation note, A headquarter company is subject to tax in the same way as any other resident company, however it is…
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