Tax Administration Series Part 1: Dealing with Tax Returns and Voluntary Disclosure


Date: Apr 7, 2000 - Jul 7, 2000

CPD hours: 2 Hours

Time: 15:00 - 17:00

Event Type: Webinar

Presenter: Nico Theron

In this four-part series, Nico Theron will cover some of the most common areas of practice regulated by the Tax Administration Act (TAA).


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Overview

In this four-part series, Nico Theron will cover some of the most common areas of practice regulated by the Tax Administration Act (TAA).

 

In particular, the series will cover:

  • How to make corrections to returns (both in favour of SARS and taxpayers).
  • The imposition and remittance of penalties.
  • How to draft an objection.
  • How to apply for payment arrangements and debt compromises.

Part 1: Dealing with Tax Returns and Voluntary Disclosure

7 April 2022

 

Tax return corrections can either be required in favour of the taxpayer or in favour of SARS. When in favour of a taxpayer, the taxpayer is seeking a reduced assessment. When in favour of SARS, SARS should be issuing an additional assessment. In this webinar, Nico Theron will discuss:

  • An overview of the remedies available to try and secure a reduced assessment.
  • An overview of the voluntary disclosure programme when an assessment is understated to mitigate penalty exposure associated with additional assessments.

Outcomes:

After this session, you will be:

  • Informed that errors on a tax return can be made in favour of the taxpayer and in favour of SARS.
  • Competent in terms of the process to follow to correct the error (and that it depends on whether the error is in favour of the taxpayer or in favour of SARS).
  • Informed, with a high-level insight, into the detail of the different procedures.

Click here to register for this session.

 

 

Presenter

 

Nico Theron

MTP(SA), BCom Law (cum laude), BCom Honours Taxation, MCom Taxation (SA and International Tax)

Nico is the founder of Unicus Tax Specialists SA, a niche tax advisory services firm that specialises in corporate tax and VAT, more specifically in the context of advance tax rulings, tax dispute resolution and voluntary disclosure program applications.

 

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