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TAX2601 Assignment 1 (COMPLETE ANSWERS) Semester 2 2025 - DUE 8 September 2025

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QUESTION 1 (12 marks, 14 minutes) Groundhog (Pty) Ltd (Groundhog) manufactures motorcycle parts for WMB (a SARS-approved manufacturing process) in Johannesburg, South Africa. Groundhogs’ year of assessment ends on 31 March 2025. On 1 May 2024, Groundhog purchased a vacant piece of land for R. The company plans to use this land to build a new factory for its manufacturing business. They plan to build the factory in the next year of assessment and to start using it on 1 March 2026 if the building goes according to plan. In January 2025, Groundhog received an offer to purchase the vacant land for R from GHC Developers (Pty) Ltd. After considerable consideration, the directors of Groundhog decided that the offer was too good to refuse and, on 1 February 2025, accepted the offer from GCH Developers (Pty) Ltd. On 1 March 2025, Groundhog received the R from GCH Developers (Pty) Ltd. REQUIRED MARKS Discuss whether the amount of R received by Groundhog (Pty) Ltd will be regarded as gross income as defined in the Income Tax Act for the year of assessment ending on 31 March 2025. Note: You can support the main issue in the question with relevant case law from the module's prescribed case law. 12 QUESTION 2 (12 marks, 14 minutes) Kganya Solutions (Pty) Ltd is a wholesale company situated in Durban, South Africa. The company is not a small business corporation as defined in the Income Tax Act. Its year of assessment ends on 31 March 2025. The following information is presented to you: Year of assessment Taxable income Date of assessment 2022 R 03 May R 20 September R 15 February R Estimated – not yet assessed REQUIRED MARKS Calculate the first and second provisional tax payments for Kganya Solutions (Pty) Ltd for its 2025 year of assessment to ensure that the company does not incur any underestimation penalties. Note: • Provide a reason for all the amounts used, explaining whether they may be used as the basic amount, and specify any adjustments made (if any) calculating the basic amount. • Clearly indicate on which date the payments must be made. 12 Downloaded by Chandrey De Villiers () lOMoARcPSD| TAX2601/2025/S2/ Assessment 1 Page 4 of 5 QUESTION 3 (36 marks, 42 minutes) Titan Tech (Pty) Ltd (TT) is a South African resident company that manufactures custom robotics. TT is not a small business corporation as defined in the Income Tax Act. TT's year of assessment ends on 28 February 2025. You are presented with the following information for the 2025 year of assessment. TT’s taxable income (before taking the information below into account) is R. 1. Trading stock Opening stock (at cost) on 1 March 2024 amounted to R695 000. Trading stock at the end of the year was recorded at a cost of R795 000, but its market value was R770 000. Miscellaneous electronic parts were purchased during the year of assessment for R. 2. Employee expenses TT contributed R400 000 to a registered pension fund for the benefit of the employees and paid net salaries and wages amounting to R860 000. 3. Restraint of trade TT made a restraint of trade payment of R240 000 to a former design engineer on 1 November 2024. The restraint agreement was effective for 4 years. The full amount was included in the engineer’s taxable income (Provide a brief reason). 4. Doubtful debts The doubtful debt allowance claimed and approved by SARS in the 2024 year of assessment was R29 000. The accountant provided you with the list of doubtful debtors as of 28 February 2025 which shows a total of R322 680. The company adopted IFRS 9 for financial reporting purposes and the total doubtful debts amount relates to the lifetime expected credit loss. 5. Patent A patent was acquired for R95 000 on 1 June 2024 and registered on 1 July 2024. It relates to a new robotic component. 6. Donation TT donated R180 000 to a registered PBO on 30 November 2024. A section 18A certificate was issued on 15 December 2024. Downloaded by Chandrey De Villiers () lOMoARcPSD| TAX2601/2025/S2/ Assessment 1 Page 5 of 5 QUESTION 3 (continued) 7. Assets register The following capital assets were acquired or sold during the year: 7.1 A new robotic arm machine used in the manufacturing process and costing R520 000 was purchased and brought into use on 1 April 2022. The machine experienced continuous issues and was eventually sold on 1 July 2024 to another tech company for R350 000. 7.2 Four second-hand laptops, each costing R12 500, were purchased and brought into use on 1 September 2024. 7.3 A delivery vehicle that was purchased and brought into use for an amount of R256 000 on 1 April 2023, was sold to a non-connected person for an amount of R120 000 (an arm’s length price) on 30 September 2024 (Provide a brief reason). 8. Legal fees 8.1 R22 000 to recover unpaid sales invoices from a client. 8.2 R8 000 to defend a director in a personal civil case. The amount was credited to the director’s loan account. (Provide a brief reason). 9. Factory TT purchased part of a newly erected factory building in Sandton to expand its robotic production capabilities. The factory was purchased and brought into use on 15 November 2024 at a cost of R. Binding General Ruling: No. 7 allows for the following write off periods for assets (where applicable): • Laptop computers 3 years • Delivery vehicles 4 years REQUIRED MARKS Calculate Titan Tech (Pty) Ltd’s normal tax liability for its 2025 year of assessment. Notes: • Ignore any capital gains tax consequences. • Show amounts that are deductible in terms of different sections of the Income Tax Act in separate lines in the answer. • TT always elects to utilise any available options in terms of the Income Tax Act to legally minimise its normal tax liability. • Provide brief reasons in the body of your calculation (not as a separate note elsewhere in your answer) for the treatment of transactions 3, 7.3, 8.2

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TAX2601 Assignment 1
(COMPLETE ANSWERS)
Semester 2 2025 - DUE 8
September 2025

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, Answers to Tax Questions
QUESTION 1: Groundhog (Pty) Ltd Gross Income Discussion
The issue is whether the amount of R3 200 000 received by Groundhog (Pty) Ltd from the sale
of the vacant land will be included in its gross income for the year of assessment ending 31
March 2025.
Gross income, as defined in section 1 of the Income Tax Act, includes all amounts received or
accrued, in cash or otherwise, during a year of assessment, excluding receipts of a capital nature.
Therefore, the core of the discussion revolves around whether the amount received from the sale
of the land is of a capital or revenue nature.
 Initial Intention: At the time of acquisition on 1 May 2024, Groundhog's intention was
to use the vacant land to build a new factory for its manufacturing business. An asset
acquired to be used for a long-term purpose in a company's business operation, such as a
factory building, is considered a capital asset. Based on this initial intention, the land was
a capital asset, and any proceeds from its sale would be considered a capital receipt.
 Change of Intention: The principle of "change of intention" is relevant here. An asset
that was initially a capital asset can change its character to a revenue asset (stock-in-
trade) if the taxpayer's intention changes from holding it for long-term use to holding it
for the purpose of resale at a profit.
 Application to the Case: The directors decided to sell the land because they received an
"offer too good to refuse." This was a once-off opportunity and not part of a scheme of
profit-making. The company did not engage in any actions to develop or sell the land as
part of a trading business (e.g., subdividing the land or marketing it).
 Case Law: This principle was famously established in the case of Natal Estates Ltd v
SIR. The case confirmed that a change of intention on its own is not enough to convert a
capital asset into trading stock. The court must look at the facts to determine if the
taxpayer entered into a new "scheme of profit-making." The sale must be an act of trade,
not merely the realization of a capital asset.
 Conclusion: Groundhog’s sale of the land appears to be a realization of a capital asset
and not an act of trade. The company’s original intention was to use the land for its
factory, which is a capital purpose. The sale was a passive response to an unsolicited
offer and not part of a broader scheme of selling property. Therefore, the amount of R3
200 000 will be regarded as a capital receipt and not included in gross income as defined
in the Income Tax Act for the year of assessment ending on 31 March 2025. This amount
would, however, be subject to Capital Gains Tax.

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