The South African taxation of trusts: Recent developments

21st September 2016

The South African taxation of trusts: Recent developments

The Davis Tax Committee’s (“DTC”) first interim report was released in July 2015 (the “First Report”) and made various significant recommendations to the Minister of Finance regarding (among other topics) the taxation of trusts in South Africa.

Subsequent to the release of the First Report, various stakeholders and members of the public submitted comments to National Treasury to express their concerns in relation to the far-reaching consequences that may arise, particularly in relation to the taxation of trusts, should the recommendations of the First Report be legislated.

On 24 August 2016, the DTC released its second interim report on estate duty (the “Second Report”), which submits revised proposals to the Minister of Finance as relates to, inter alia, the taxation of trusts.

Two of the most notable proposals contained in the First Report were:

“There would be numerous complexities associated with implementing a form of transfer pricing adjustment to deem a return on interest-free loans between [South African] registered trusts and [South African] taxpayers. The DTC concurs with the recommendations of the Katz Commission that this be avoided.”

The Draft Taxations Laws Amendment Bill, released on 8 July 2016, proposes to insert section 7C into the Income Tax Act, which section appears to be a mechanism to encourage loans to trusts to carry at least the official rate of interest in these or surrounding circumstances.

If enacted, section 7C will apply where any natural person or company that is a connected person in relation to such a natural person makes or provides any loan, advance or credit to a trust in circumstances where such natural person or company (or any associated connected person) is a connected person in relation to such trust.

The following consequences will come into play in relation to such loans:

The Second Report makes the following revised proposals:

It is unclear as to the interaction of the proposed section 7C and the proposed extension of the “deemed control” provision.

The Standing Committee on Finance is scheduled to hear submissions regarding various tax proposals including the proposed section 7C in September 2016.

Written by Robert Gad and Alexa Muller, ENSafrica.

This article was first published by ENSafrica (www.ENSafrica.com). 

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