Dispute resolution experts have welcomed the new rules, which became effective on 10 March – describing them as a “positive step forward in many ways” and by and large in favour of taxpayers. Moneyweb Tax amandavisser1
An amended set of rules that describes the procedures for tax objections and appeals for the alternative dispute resolution process, as well as the hearing of appeals before the Tax Court and the Tax Board, has been published. Dispute resolution experts have welcomed the new rules, which became effective on 10 March – describing them as a “positive step forward in many ways” and by and large in favour of taxpayers.
“We welcome these positive amendments,” says Chong. Read: Increasing importance of a tax ombud for SA taxpayers Theron notes that in terms of the new rules the facilitator has to provide a report within five days after the ADR meeting, and a final report no later than 10 days after the conclusion of the ADR process. He believes this is a more practical rule, as he has never seen a report issued after the conclusion of an ADR meeting.
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