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LML4804 Assignment 3 (COMPLETE ANSWERS) Semester 2 2026 - DUE 8 September 2026

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LML4804 Assignment 3 (COMPLETE ANSWERS) Semester 2 2026 - DUE 8 September 2026; 100% TRUSTED Complete, trusted solutions and explanations. For assistance, Whats-App 0.8.1..2.7.8..3.3.7.2... Jean-Paul is a qualified structural engineer and a South African tax resident. He is married to his childhood sweetheart, Suzette, with whom he has two children. The company he worked for, Continental Engineering (Pty) Ltd (CE), experienced financial difficulties caused by Construction mafias, often labelled ‘business forums’. The Construction mafias employed violence and other illegal means to invade construction sites of CE and thereby demanding money or a stake in development projects. This resulting in CE terminating its projected awarded to it. As a result, CE retrenched several engineers including Jean-Paul. On his retrenchment, Jean-Paul was given a severance package of R3 million for having worked for CE for about ten years. The retrenchment did not sit well with Jean-Paul. His medical state deteriorated, and he was in and out of hospital. One evening on his way from the hospital, he was arrested for a suspicion of driving under the influence of alcohol. The officer who arrested him relied on Jean-Paul’s slurred speech and poor vision. Jean-Paul showed the officer a flu medicine called Bilophys (not a real name) which causes the side effects he was showing. However, the officer took him to the police custody. Jean-Paul was kept in police custody for three days without being taken to the district surgeon for blood tests. The Minister of Police was alerted about the situation and offered Jean-Paul compensation of R1 million, which he accepted. With all the money in his pocket, Jean-Paul embarked on the following transactions: • Sold the house he was staying in with family in Midrand for R2,5 million. He bought for R1,5 million ten years ago; • Before selling the house, he appointed Downtown Real Estate Agency to market and sell the house at a fee of R120 000; • He bought a penthouse worth R2 million in Johannesburg CBD; • He sold his car, a GX Sport for R300 000; • He bought Wild XX SUV for R500 000; and • He bought Kruger Rands worth R200 000 and donated them to Maria as a token of affection. Discuss the capital gains tax consequences of the transactions above. Yaya was a farmer and owned a large piece of land north of Zeerust, Northwest. She was carrying on a business as a grower of wheat. In 2019, she purchased 100% of the shareholding in a company, Themba-Bread (Pty) Ltd (Themba-Bread). When Yaya initially acquired Themba-Bread, it was trading at an assessed loss of R1.5 million. In June 2020, with Themba-Bread now a successful company, Yaya sold all her shares in the company to her close friend Owethu. Upon the submission of its tax returns for the 2021/2022 year of assessment, Themba-Bread’ assessed loss was brought forward and utilised against the company’s taxable income of R 1 million. As a result, the company received a substantial tax benefit. The remaining assessed loss of R 500 000 was carried forward to be utilised in the 2022/2023 year of assessment. The Commissioner of the South African Revenue Service (SARS) is of the view that a tax avoidance arrangement had been created between Yaya and Themba-Bread for the company to receive an impermissible tax benefit. The Commissioner believed that had it not been for the assessed losses, the company would have attracted tax on the income it received. On that basis, the Commissioner issued section 80J notices and letters of assessment in terms of section 80B. Advise Yaya on the meaning of the term ‘impermissible avoidance arrangement’ with specific reference to the requirements that must be met in terms of Section 80A before a transaction/scheme/arrangement is deemed to be an ‘impermissible avoidance arrangement.

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LML4804
Assignment 3 Semester 2 2026
Unique number:
Due date: 8 September 2026


QUESTION 1: Impermissible Avoidance Arrangement

Section 80A of the Income Tax Act 58 of 1962 contains the general anti-avoidance
rule for an impermissible avoidance arrangement. SARS must identify an
arrangement, a tax benefit, a sole or main purpose of obtaining that benefit, and at
least one tainted feature listed in section 80A.1 The Constitutional Court has
confirmed that sections 80A to 80L must be applied to the actual arrangement
proved on the facts.1

, QUESTION 1: Impermissible Avoidance Arrangement

Section 80A of the Income Tax Act 58 of 1962 contains the general anti-avoidance
rule for an impermissible avoidance arrangement. SARS must identify an
arrangement, a tax benefit, a sole or main purpose of obtaining that benefit, and at
least one tainted feature listed in section 80A.1 The Constitutional Court has
confirmed that sections 80A to 80L must be applied to the actual arrangement
proved on the facts.2

The first requirement is an arrangement. Section 80L gives this term a wide meaning
and includes a transaction, operation, scheme, agreement or understanding,
whether enforceable or not.3 Yaya's purchase and later sale of the shares in
Themba-Bread, can therefore be examined as part of one wider scheme. Ovenstone
v SIR supports examining the substance and connected steps of a tax-avoidance
scheme rather than looking at one transaction in isolation.4

Secondly, there must be a tax benefit, which includes the avoidance, postponement
or reduction of tax liability.5 Themba-Bread used R1 million of its assessed loss
against taxable income and carried the remaining R500 000 forward. The company
therefore paid less tax than it would have paid without the assessed loss. In CSARS
v Woulidge, the court accepted that an arrangement may be legally effective while its
tax consequences are still determined under tax law. 6

Thirdly, the sole or main purpose must be to obtain the tax benefit. Section 80G
presumes a tax-avoidance purpose where an arrangement results in a tax benefit,
unless the taxpayer proves that tax avoidance was not the sole or main purpose. 7
Yaya should therefore provide proper commercial reasons for buying Themba-Bread
and later selling the shares to Owethu. A genuine commercial purpose can be
important when deciding whether the arrangement crosses the line into
impermissible avoidance.8

1
Income Tax Act 58 of 1962 s 80A.
2
Absa Bank Ltd and Another v Commissioner for the South African Revenue Service [2026] ZACC 15.
3
Income Tax Act 58 of 1962 s 80L.
4
Ovenstone v Secretary for Inland Revenue 1980 (2) SA 721 (A).
5
Income Tax Act 58 of 1962 ss 80A and 80L.
6
Commissioner for the South African Revenue Service v Woulidge 2002 (1) SA 68 (SCA).
7
Income Tax Act 58 of 1962 s 80G.
8
Commissioner for Inland Revenue v Louw 1983 (3) SA 551 (A).

Connected book
 image
Aubrey S. Silke, A. P. De Koker Silke on South African Income Tax
Publisher: 1995 ISBN: 9780409116663 Edition: Unknown

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