https://www.polity.org.za
Deepening Democracy through Access to Information
Home / Legal Briefs / Webber Wentzel RSS ← Back
Services
Services
services
Close

Email this article

separate emails by commas, maximum limit of 4 addresses

Sponsored by

Close

Article Enquiry

Unforeseen preference share amendments

Close

Embed Video

Unforeseen preference share amendments

Unforeseen preference share amendments

4th November 2019

ARTICLE ENQUIRY      SAVE THIS ARTICLE      EMAIL THIS ARTICLE

Font size: -+

The 2019 Taxation Laws Amendment Bill (TLAB) was tabled with the Medium Term Budget Policy Statement on 30 October 2019.

The TLAB contains a significant amendment to the definition of "hybrid equity instrument" in section 8E of the Income Tax Act, which will deem any distributions made within 3 years of the date of issue of a preference share to be treated as normal income and fully taxable in the holder's hands.

Advertisement

More specifically, the TLAB will treat a preference share as a "hybrid equity instrument" if "the issuer of that share is obliged to redeem that share or to distribute an amount determined with reference to the issue price of that share … within a period of three years from the date of issue." (our emphasis)

The previous draft version of the TLAB issued in July 2019 was worded very differently, in effect only contemplating distributions constituting returns of capital made within 3 years from the date of issue being recharacterised as normal income in the holder's hands.  The logic behind this was clear - Treasury did not want an artificial redemption to be done within 3 years by returning capital without an actual redemption of the shares, whether in whole or in part. 

Advertisement

This final version of the TLAB, however, contemplates something completely different.  The proposed wording is wide enough to effectively taint any distribution made within 3 years (even if paid as a dividend) that is calculated as a yield on the issue price (as would clearly be the case with any preference share coupon). National Treasury has not communicated any policy reason for such a fundamental change.

We intend engaging with both National Treasury and SARS immediately to address this, as the consequences for the preference share market will clearly be dire - particularly given the effective date of this amendment being for years of assessment ending on or after 21 July 2019.

Please contact our Tax or Banking & Finance experts should you wish to discuss this further.

Written by Brian Dennehy, Khurshid Fazel and Joon Chong, Webber Wentzel

Click here for more information on Tax and for more information on Banking & Finance click here.

EMAIL THIS ARTICLE      SAVE THIS ARTICLE ARTICLE ENQUIRY

To subscribe email subscriptions@creamermedia.co.za or click here
To advertise email advertising@creamermedia.co.za or click here

Comment Guidelines

About

Polity.org.za is a product of Creamer Media.
www.creamermedia.co.za

Other Creamer Media Products include:
Engineering News
Mining Weekly
Research Channel Africa

Read more

Subscriptions

We offer a variety of subscriptions to our Magazine, Website, PDF Reports and our photo library.

Subscriptions are available via the Creamer Media Store.

View store

Advertise

Advertising on Polity.org.za is an effective way to build and consolidate a company's profile among clients and prospective clients. Email advertising@creamermedia.co.za

View options
Free daily email newsletter Register Now