Binding private Rulings - BPR 141-160

A Binding Private Ruling (BPR) is issued in response to an application and clarifies how the Commissioner would interpret and apply the provisions of the tax laws relating to a specific proposed transaction.
 
The rest of the BPRs may be accessed by navigating the pane above. 
 
Number ​Subject

BPR 141

Transfer of securities from an untaxed policyholder fund of a long-term insurer to an untaxed policyholder fund of another long-term insurer

BPR 142

​Deduction of interest expenditure

BPR 143

​Preference shares constituting equity shares in relation to a headquarter company

BPR 144

​Write-off period in respect of the increase in either the cost or the value of assets pursuant to a section 45(4) de-grouping

BPR 145

​Allowances  - Assets forming part of a sale and leaseback arrangement

BPR 146

​Mining tax – Contract mining agreement

​​BPR 147

​Consideration received for the surrender of a right to acquire shares

BPR 148

​Dividends Tax Rate - Permanent establishment in South Africa

BPR 149*

​Disposal of an asset that constitutes an equity share in a foreign company

Note
:
BPR 149 has been replaced on 14 August 2013 to provide for textual changes and additions from the original ruling for improved clarity - refer to the first bullet point in paragraph 6

BPR 150

​Tax treatment relating to a credit linked deposit

BPR 151

​Renunciation of an inheritance

BPR 152

Capital Gains Tax: Cancellation and extinguishment of a right to interest

BPR 153

Residency status of a non-resident who applies for a temporary residence permit

BPR 154

​Corporate rules: Acquisition of a debtors book

​BPR 155

Incentive for oil and gas production

BPR 156

​Pension benefits accruing to a non-resident from a resident pension fund

BPR 157 

​Receipt of foreign assets and the subsequent donation thereof to a non-resident trust

​​BPR 158
​Transport services provided by an employer to employees
 
The underlying principles confirmed in this ruling are currently under review. This ruling is only binding in respect of the specific applicant to whom it was issued and may not be relied upon by a third party.
​BPR 159

​Asset-for-share and amalgamation transactions

BPR 160

​Incentive Payments
Note:
This BPR 160 was replaced on 24 January 2014 due to the amendment of point 6 thereof

 
 
 
 
 
 
 
 
 
Last Updated: 14/02/2019 4:01 PM     print this page
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