advanced litigation strategies in transfer pricing

12
Advanced Litigation Strategies in Transfer Pricing Prof D N Erasmus Prof A Venter

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Advanced Litigation Strategies in Transfer Pricing. Prof D N Erasmus Prof A Venter . Introduction Background Tax Administration Process - BEFORE the Audit - DURING the Audit - AFTER the Audit Litigation. Content. REASON for the seminar PURPOSE of the seminar. Background. - PowerPoint PPT Presentation

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Page 1: Advanced Litigation Strategies in Transfer Pricing

Advanced Litigation

Strategies in Transfer

PricingProf D N Erasmus

Prof A Venter

Page 2: Advanced Litigation Strategies in Transfer Pricing

Cont

ent IntroductionBackgroundTax Administration

Process - BEFORE the Audit - DURING the Audit

- AFTER the AuditLitigation

Page 3: Advanced Litigation Strategies in Transfer Pricing

Back

grou

ndREASON for the seminarPURPOSE of the seminar

Page 4: Advanced Litigation Strategies in Transfer Pricing

BACKGROUND: REASON for the Seminar

16 Feb 2013 30 July 2013

30 April 2013

19 July 2013

RECENT PUBLICATIONS

Page 5: Advanced Litigation Strategies in Transfer Pricing

Tax

Adm

in

Proc

ess

BEFORE the Audit DURING the Audit

AFTER the Audit LITIGATION

Page 6: Advanced Litigation Strategies in Transfer Pricing

• Level of detail & sophistication to be pursued (p6)

• Q?s to be answered in a TP Risk Assessment Process (p8)

• Risk Factors (p11)• Evaluating TP risk (p13)• Risk Assessment Process (p30)• Sharing risk assessments with taxpayers

(p33 par. 147)

BEFORE the Audit: Key Indicators

Page 7: Advanced Litigation Strategies in Transfer Pricing

• Refer to the documentation WHITE PAPER pages 23 – 25• Discharging the onus of proof• Efficient & Effective use resources• The Constitution s 232 and soft law• The Constitution ss 1(c), 2 and 195• Shuttleworth case para’s [44]and [46]• SARS Act s 4(2)

BEFORE the Audit: Documentation Requirements

Page 8: Advanced Litigation Strategies in Transfer Pricing

Ensuring compliance with the TAA sections on the status of the audit, and the letter of findings at the conclusion of the audit…• Relevant material• s 3(2) of TAA• s 41 of TAA• s 42 of TAA• s 46 of TAA• s 102 of TAA – onus of proof• s 105 – court forum

DURING the Audit

Page 9: Advanced Litigation Strategies in Transfer Pricing

Refer to the suggested Audit Engagement

Letter

BEFORE the Audit: Audit Engagement Letter

Page 10: Advanced Litigation Strategies in Transfer Pricing

• Ensure a comprehensive response to the letter of findings• Ensure an objective review by SARS• Promotion of Administrative Justice Act• Consider any Review Application to the High

Court for procedural defects• Invoke the MAP process• Draft a comprehensive request for reasons• Draft a comprehensive Letter of Objection• Other issues

AFTER the Audit

Page 12: Advanced Litigation Strategies in Transfer Pricing

Cont

act

Prof Daniel N Erasmus 083-458-8422 +1 561-568-7115

[email protected]