South Africa: Deductibility Of Interest Incurred By An Investment Holding Company - Andersen in South Africa

South Africa: Deductibility Of Interest Incurred By An Investment Holding Company - Andersen in South Africa

Mondaq

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At issue in Unitrans Holdings Limited v The Commissioner for the South African Revenue Service was the tax deductibility, in terms of section 24J (2) of the Income Tax Act, No. 58 of 1962...

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