Saturday, October 12, 2019
An Analysis of the Term Actually Incurred in Section 11(a) of Income Tax Action :: Accounting Education Finances Taxes Essays
 An Analysis of the Term Actually Incurred in Section 11(a) of Income Tax Action  Act No. 58 of 1962      1.SYNOPSIS    Generally Accepted Accounting Practice includes statement AC000: Framework for  the preparation and presentation of financial statements. This sets out broad  and definitive rules governing the recognition of liabilities and income and  expenditure in financial statements. Specifically the following paragraphs need  to be considered:    Recognition of liabilities:    91. A liability is recognised in the balance sheet when it is probable  that an outflow of resources embodying economic benefits will  result from the settlement of a present obligation and the amount  at which the settlement will take place can be measured reliably...    Recognition of expenses:    94. Expenses are recognised in the income statement when a decrease in  future economic benefits related to a decrease in an asset or  an increase of a liability has arisen that can be measured  reliably. This means in effect that recognition of expenses  occurs simultaneously with the recognition of an increase  or a decrease in assets    95. Expenses are recognised in the income statement on the basis  of a direct association between the costs incurred and the and the  earning of specific items of income. This process, commonly  referred to as the matching of costs with revenues, involves the  simultaneous or combined recognition of revenues and expenses that  result directly and jointly from the same transaction or other  events;    The fisc takes little notice of these rules when it comes to the recognition of  expenditure for the purposes of taxation. It is the part of these rules that  govern the general deduction provision that this report will examine.    Section 11(a) of the South African Income Tax Act No. 58 of 1962 (as amended)  reads as follows:    11. General deductions allowed in the determination of taxable income.-  For the purpose of determining the taxable income derived by any  person from the carrying on of any trade within the Republic, there  shall be allowed as deductions from the income of such person so  derived-    (a) expenditure and losses actually incurred in the Republic in the  production of the income, provided such expenditure and losses  are not of a capital nature.    The section defines the conditions that must be met for expenditure and losses  to be allowed as deductions from income. The expenditure or losses must have  been: Actu    ssme    nt  In the Republic of South Africa.  In the production of the income.  Such expenditure or losses must not be of a capital nature.    The section has to be read together with s23(g)    23. Deductions not allowed in the determination of taxable income.-  No deductions shall be made in respect of any moneys, claimed  as a deduction from trade, to the extent to which such monies    					    
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