{"id":209426,"date":"2017-08-02T09:39:40","date_gmt":"2017-08-02T13:39:40","guid":{"rendered":"http:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/deadline-looms-for-undeclared-offshore-assets-biznews\/"},"modified":"2017-08-02T09:39:40","modified_gmt":"2017-08-02T13:39:40","slug":"deadline-looms-for-undeclared-offshore-assets-biznews","status":"publish","type":"post","link":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/offshore\/deadline-looms-for-undeclared-offshore-assets-biznews\/","title":{"rendered":"Deadline looms for undeclared offshore assets &#8211; BizNews"},"content":{"rendered":"<p><p>*This content is brought to you by Brenthurst Wealth    <\/p>\n<p>    By Brian Butchart*  <\/p>\n<p>    Time is running out for those who have not as yet    considered the implications of what is required for disclosure    or the possible implications of non-disclosure of offshore    assets.  <\/p>\n<p>    In the 2016 Budget, the     now ex-finance minister Pravin Gordhan, announced the        Special Voluntary disclosure programme (SVDP) for those    individuals that did not previously utilise the opportunity to    disclose undeclared offshore assets in the 2003\/2004    amnesty.  <\/p>\n<p>    It was estimated that approximately R65 billion was    disclosed in the 2003\/2004 amnesty with an estimated R200    billion or more still undeclared.  <\/p>\n<p>    Treasury has made it clear that the SVDP is the last    opportunity for those who have not declared any historical    offshore assets to the local tax authorities and the Reserve    Bank if these assets were in contravention of any exchange    controls or the Tax administration act.  <\/p>\n<p>    As from October 1 2016 to August 31 2017 taxpayers have    been given an opportunity to disclose these assets and pay    certain penalties in order to legitimise these assets and bring    them into the tax net of Sars for any future tax    liabilities.  <\/p>\n<p>    Taxpayers who do not utilise this opportunity to come    clean risk being taxed on the full amount that has not been    taxed before, with no limitation on how far back Sars can raise    assessments. So while properly disclosed applications under the    SVDP will provide full immunity, those who do not come clean    will be at the mercy of the revenue service with regards to the    taxable period.  <\/p>\n<\/p>\n<p>    In addition, Sars could impose understatement penalties    of 150% or 200% of the tax payable, together with interest.    From an exchange control perspective the authorities are    mandated to, where appropriate, recover the full amount of the    contravention. A contravention of the exchange control    regulations can lead to criminal prosecution.  <\/p>\n<p>    As from September 2017 this year the first set of    countries which include the G20, including South Africa and    several others have agreed on the terms of the common reporting    standards (CRS) to disclose information of tax payers who hold    financial instruments in their country to the tax authorities    in which they are tax resident.  <\/p>\n<p>    This includes all financial instruments held by    individuals and entities including trusts and    foundations.  <\/p>\n<p>    The SVDP is intended to encourage taxpayers to come    forward on a voluntary basis to regularise their tax affairs    with Sars and the Reserve Bank to avoid the imposition of    under-statement or administrative penalties.  <\/p>\n<p>    Sars has confirmed that any person may apply for SVDP.    However, a person that is aware of a pending audit or    investigation or is the subject of a not yet concluded audit    investigation, may not use the scheme.  <\/p>\n<p>    Individuals and companies may apply. Trusts may not.    However, beneficiaries of trusts may apply provided they deem    the assets and income of the trust as their own.  <\/p>\n<\/p>\n<p>    The SVDP consists of an application to the Reserve Bank    for exchange control transgressions and an application to Sars    for any tax transgressions.  <\/p>\n<p>    The exchange control levy is 10% of the value of the    assets as at 28 February 2016 if you opt to keep these funds    offshore or 5% of you opt to bring them back to SA. If you pay    for the penalty form SA sources rather than the offshore source    an additional 2% is levied.  <\/p>\n<p>    There are two disclosure options for tax transgressions.    Voluntary disclosure programme (VDP) and SVDP.  <\/p>\n<p>    The voluntary disclosure programme has been in existence    for several years already, allowing all tax payers an    opportunity to voluntarily disclose any tax contraventions to    Sars on which the tax liability would be calculated and    interest applied to that liability. The one disadvantage is    that if this route is selected Sars has the right to go back to    the inception of the investment in order to calculate the exact    tax liability since inception with interest applied to each    respective tax period.  <\/p>\n<\/p>\n<p>    The SVDP is for a limited period until 31 August 2017 and    is calculated using the capital value of all assets in    contravention of the of the tax administration act at the end    of every tax year from 28 February 2011 to 28 February 2015.    40% of the Highest value of the aggregate of all assets over    these 5 years will be included in the taxable income of the    individual in the 2015 tax period and tax payable    thereon.  <\/p>\n<p>    In addition Sars also charges interest on the outstanding    tax due to them.  <\/p>\n<p>    This ensures that all donations tax, dividends tax,    capital gains tax and any income tax or estate duty liabilities    will be exempt from the past.  <\/p>\n<p>    However you need to clearly understand the implications    of both the SVDP as well as the VDP in order to determine which    route will be more beneficial.  <\/p>\n<p>    I would suggest seeking professional advice and    assistance in order to make an informed decision, but wouldnt    wait too much longer as August 31 2017 is fast    approaching.  <\/p>\n<p><!-- Auto Generated --><\/p>\n<p>Go here to see the original:<\/p>\n<p><a target=\"_blank\" rel=\"nofollow\" href=\"https:\/\/www.biznews.com\/wealth-building\/2017\/08\/02\/undeclared-offshore-assets\/\" title=\"Deadline looms for undeclared offshore assets - BizNews\">Deadline looms for undeclared offshore assets - BizNews<\/a><\/p>\n","protected":false},"excerpt":{"rendered":"<p> *This content is brought to you by Brenthurst Wealth By Brian Butchart* Time is running out for those who have not as yet considered the implications of what is required for disclosure or the possible implications of non-disclosure of offshore assets. In the 2016 Budget, the now ex-finance minister Pravin Gordhan, announced the Special Voluntary disclosure programme (SVDP) for those individuals that did not previously utilise the opportunity to disclose undeclared offshore assets in the 2003\/2004 amnesty.  <a href=\"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/offshore\/deadline-looms-for-undeclared-offshore-assets-biznews\/\">Continue reading <span class=\"meta-nav\">&rarr;<\/span><\/a><\/p>\n","protected":false},"author":5,"featured_media":0,"comment_status":"closed","ping_status":"closed","sticky":false,"template":"","format":"standard","meta":{"footnotes":""},"categories":[187814],"tags":[],"class_list":["post-209426","post","type-post","status-publish","format-standard","hentry","category-offshore"],"_links":{"self":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/posts\/209426"}],"collection":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/users\/5"}],"replies":[{"embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/comments?post=209426"}],"version-history":[{"count":0,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/posts\/209426\/revisions"}],"wp:attachment":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/media?parent=209426"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/categories?post=209426"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/tags?post=209426"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}