Weekend Argus (Saturday Edition)

Innovative approaches to tax disputes: SA’s drive for fairness

- ANDRÉ DANIELS AND KIVASHNA VEERASAMY Daniels is the head of tax controvers­y and dispute resolution, and Veerasamy is a tax attorney at Tax Consulting SA.

IN A MOVE set to redefine the landscape of tax dispute resolution in South Africa, the National Treasury unveiled a groundbrea­king proposal during the 2024 Budget Speech. The proposal aims to introduce alternativ­e dispute resolution (ADR) proceeding­s at the objection phase of tax disputes.

This strategic shift is a promising step in the right direction in transformi­ng the tax dispute resolution landscape, which would usher in a new era of fairness, efficiency, and cooperatio­n in resolving tax disputes.

The convention­al path

Traditiona­lly, tax disputes in South Africa have followed a convention­al path, often characteri­sed by lengthy and adversaria­l processes. Taxpayers who are aggrieved by the South African Revenue Service (Sars) assessment­s have had limited options beyond formal objections and appeals, leading to protracted disputes, strained relationsh­ips, and significan­t costs for both taxpayers and the tax authority.

Forward-thinking solutions

However, the proposed introducti­on of ADR proceeding­s at the objection phase marks a pivotal departure from this norm. Under the new framework, taxpayers and Sars will have the opportunit­y to engage in facilitate­d discussion­s and negotiatio­ns at an earlier stage than the current dispensati­on allows. This proactive approach encourages early interventi­on and collaborat­ion, fostering a more conducive environmen­t for resolving disputes amicably and expeditiou­sly.

The significan­ce of this proposed change cannot be overstated. By integratin­g ADR into the objection phase, taxpayers and Sars will have the opportunit­y to address issues at the commenceme­nt of the dispute process, potentiall­y preventing disputes from escalating into prolonged legal battles.

This not only saves valuable time and resources but also promotes trust, transparen­cy, and compliance within the tax system and between taxpayers and tax authoritie­s.

A step in the right direction

Furthermor­e, the proposed change reflects a broader commitment to enhancing access to justice and promoting a culture of fairness and equity in tax administra­tion; by providing taxpayers with a viable alternativ­e to traditiona­l dispute resolution mechanisms, that are modernised and streamline­d. Further embracing innovative approaches to tax dispute resolution, highlights a willingnes­s to adapt to the evolving needs of taxpayers and stakeholde­rs in a dynamic and complex economic environmen­t.

Navigating Sars with precision tax disputes

When stepping into the realm of dispute proceeding­s with Sars, it is imperative to dance to the beat of the golden rules.

Seeking guidance from a tax attorney is a crucial step for success in tax disputes.

Obtaining reasons for the assessment is the preliminar­y phase, enabling the precise crafting of an objection. An objection must be strategica­lly formulated, as this document guides the process and is binding in an ADR, whether in the current or proposed dispensati­on.

A suspension of payment must be filed to halt collection steps by Sars, as the submission of an objection does not automatica­lly pend Sars collection steps.

Sars continues to operate on the “pay now, argue later” principle, as enshrined in legislatio­n. Similar to objections, this request is not to be undertaken without careful considerat­ion, it demands meticulous legal strategy and the oversight of a seasoned tax attorney.

Revolution­ising tax dispute resolution

The proposed changes to South Africa's tax dispute resolution proceeding­s, particular­ly the introducti­on of ADR at the objection phase, signify a bold and progressiv­e approach to enhancing fairness, efficiency, and co-operation within the tax system.

By promoting early interventi­on, dialogue, and consensus-building, the new framework holds the promise of transformi­ng the way tax disputes are resolved, ultimately contributi­ng to a more equitable and resilient fiscal ecosystem for all stakeholde­rs involved.

 ?? SUPPLIED ?? SARS CONTINUES to operate on the “pay now, argue later” principle, as enshrined in legislatio­n. I
SUPPLIED SARS CONTINUES to operate on the “pay now, argue later” principle, as enshrined in legislatio­n. I

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