Further explores the effects of applying section 42, considering what happens when the assets are sold for a combination of shares and cash, as well as the clawback provisions in section 42.
2020 Tax Relief Measures during Covid-19: Webinar 3: Employer and Employee (PAYE and UIF Specific) - Free Webinar
2020 Practical Q&A with Prof Jackie Arendse - Tax aspects of company formations and restructuring (session 4)