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University of Pretoria

Venture and trade conducted by natural persons for income tax purposes

Abstract

dc:description.abstract

In order to deduct the start-up costs associated with a new business from the entrepreneur’s income for South African income tax purposes, the entrepreneur has to prove that he/she is in fact carrying on a trade, as defined. Taken from the definition of the term ‘trade’ the term ‘venture’ is not specifically defined in the Income Tax Act. At present there is no concrete guidance from SARS or the legislature assisting an entrepreneur in deciding whether his venture cost incurred falls in the ambit of the definition of a trade, assuming that all other requirements are met for a deduction from the natural person’s income. The objective of this study is to design a set of tests based on current legislation and relevant case law, aimed at assisting a natural person in determining whether venture costs will qualify as a trade, as defined. The tests will firstly assist in determining whether the entrepreneur is carrying on a trade as defined, and secondly whether venture costs incurred is of a revenue nature. Copyright

Degree

thesis:*
Grantor dc:publisher
University of Pretoria
Year dc:date.issued
2009

Author and committee

dc:creator, dc:contributor.*
Advisor dc:contributor.advisor
  • De Swardt, Redge D.

Subjects

dc:subject × 4

Rights

dc:rights
Statement dc:rights
  • © 2009, University of Pretoria. All rights reserved. The copyright in this work vests in the University of Pretoria. No part of this work may be reproduced or transmitted in any form or by any means, without the prior written permission of the University of Pretoria
Language dc:language.iso
en

Identifiers

dc:identifier.*
Dc Identifier Other
E1275/gm
OAI identifier oai:identifier
oai:repository.up.ac.za:2263/30741

Chain of custody

source
Harvested from
University of Pretoria
Base URL
repository.up.ac.za/server/oai/request
Last updated
2026-07-24
Source record
OAI-PMH GetRecord
citation

Venture and trade conducted by natural persons for income tax purposes. University of Pretoria, 2009. http://hdl.handle.net/2263/30741