Restructuring and intragroup dealings – what tax relief is available

In-house course

2.00
Attendance at this seminar will secure 2 hour/s verifiable CPD points including other professional bodies (SAICA, SAIBA, ACCA, IACSA, IRBA & etc)
Corlia Faurie   0118861395   gillian@probetatraining.co.za

As one of the many consequences and factors to consider for any corporate restructuring transaction, tax implications almost stand first in line – as it may also often be one of the main reasons for said restructuring.
ProBeta offers courses that unpack these transactions and the tax implications thereof.

This session will address the following:
• Brief overview of the underlying concepts to consider in corporate restructuring:
o Section 41 definitions
o Contributed tax capital
• Coverage of the main provisions from tax legislation dealing with the following transactions (types of transactions, requirements to qualify for certain tax relief):
o Section 44 – Amalgamation transactions
o Section 45 – Intragroup transactions
o Section 46 – Unbundling transactions
o Section 47 – Liquidation and winding up
• Practical issues with corporate restructuring

All entities and tax practitioners that are engaged in corporate restructuring transactions, as well as auditors, might benefit from this course.