Clarifying rollover relief for unbundling transactions involving non-resident shareholders
However, these unbundling transactions are subject to an anti-avoidance rule in section 46(7) of the Act aimed at limiting the extent to which taxpayers can distribute shares in resident companies to non-residents on a tax neutral basis. In simple terms, section 46(7) of the Act excludes the shareholders and the unbundling company from benefitting from the rollover relief if 20% or more of the shares in the unbundled company are, after the transaction, held by “disqualified persons” (including, amongst others, non-residents), either alone or together with persons connected to those non-residents.
National Treasury has identified that the current rule creates a loophole in that the 20% exclusionary rule may not apply where non-resident shareholders are not connected persons in relation to each other. In other words, non-residents may collectively hold 20% or more of the shares in the unbundled company, but to the extent that they are all independent, the anti-avoidance rule in section 46(7) of the Act would not be applicable as one would not breach the 20% threshold. To close this loophole, it has been proposed that the relevant legislation be amended to ensure that the rule applies irrespective of whether the non-resident shareholders are connected persons in relation to each other.
The information and material published on this website is provided for general purposes only and does not constitute legal advice. We make every effort to ensure that the content is updated regularly and to offer the most current and accurate information. Please consult one of our lawyers on any specific legal problem or matter. We accept no responsibility for any loss or damage, whether direct or consequential, which may arise from reliance on the information contained in these pages. Please refer to our full terms and conditions. Copyright © 2024 Cliffe Dekker Hofmeyr. All rights reserved. For permission to reproduce an article or publication, please contact us cliffedekkerhofmeyr@cdhlegal.com.
Subscribe
We support our clients’ strategic and operational needs by offering innovative, integrated and high quality thought leadership. To stay up to date on the latest legal developments that may potentially impact your business, subscribe to our alerts, seminar and webinar invitations.
Subscribe