Friday, February 8, 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 in truth Incurred in Section 11(a) of Income Tax ActionAct No. 58 of 19621.SYNOPSIS commonplacely Accepted Accounting Practice includes statement AC000 Framework forthe homework and presentation of financial statements. This sets out broadand definitive rules dictateing the erudition of liabilities and income and spending in financial statements. Specifically the following paragraphs needto be consideredRecognition of liabilities91. A liability is accepted in the balance bed sheet when it is probablethat an outflow of resources embodying economical benefits willresult from the settlement of a present obligation and the amountat which the settlement will move back place can be measured reliably...Recognition of expenses94. Expenses are recognised in the income statement when a decrease infuture economic benefits related to a decrease in an asset oran attach of a liability has arisen that can be measuredreliably. This means in effect that recognition of expensesoccurs simultaneously with the recognition of an increaseor a decrease in assets95. Expenses are recognised in the income statement on the basisof a direct association between the costs incurred and the and theearning of peculiar(prenominal) items of income. This process, commonlyreferred to as the matching of costs with revenues, involves thesimultaneous or feature recognition of revenues and expenses thatresult directly and jointly from the same transaction or othereventsThe fisc takes little nonice of these rules when it comes to the recognition ofexpenditure for the purposes of taxation. It is the part of these rules thatgovern the general deduction provision that this report will examine.Section 11(a) of the southbound African Income Tax Act No. 58 of 1962 (as amended)reads as follows11. General deductions allowed in the determination of taxable income.-For the purpose of determining the taxable income derived by anyperson from the carrying on of any trade within th e Republic, at that placeshall be allowed as deductions from the income of such person soderived-(a) expenditure and losses actually incurred in the Republic in theproduction of the income, provided such expenditure and lossesare not of a capital nature.The section defines the conditions that must(prenominal) be met for expenditure and lossesto be allowed as deductions from income. The expenditure or losses must havebeen ActussmentIn 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 unitedly with s23(g)23. Deductions not allowed in the determination of taxable income.-No deductions shall be make in respect of any moneys, claimedas a deduction from trade, to the goal to which such monies
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