The new understatement penalty regime: A sharp ‘sword’?
Título
The new understatement penalty regime: A sharp ‘sword’?
Autor
Linda van Zyl
Descripción
The objective of this article was to form an opinion on the sharpness of the ‘sword’ of the new mandatory understatement penalty regime of the Tax Administration Act 28 of 2011 (as amended). Based on a review of the new bona fide inadvertent error exclusion and the burden of proof, it was found that it is imperative that comprehensive guidelines be issued expediently in order to prevent inconsistent application by South African Revenue Service (SARS) officials as well as to clarify the alleged automatic penalty position. The conclusion reached is that this sword is very sharp indeed based on its mandatory nature, the effect of the application of the highest penalty percentage and the current lack of guidance from SARS, especially regarding the practical application of the new bona fide inadvertent error exclusion.
Fecha
2014
Materia
bona fide inadvertent error, burden of proof, understatement penalty, substantial understatement, reasonable care, reasonable grounds, gross negligence, intentional tax evasion
Identificador
DOI: 10.4102/jef.v7i3.243
Fuente
Journal of Economic and Financial Sciences
Editor
African Online Scientific Information Systems
Cobertura
Economics as a science
Idioma
EN
Colección
Citación
Linda van Zyl, “The new understatement penalty regime: A sharp ‘sword’?,” SOCICT Open, consulta 18 de abril de 2026, https://www.socictopen.socict.org/items/show/1963.
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