AMENDMENT TO THE TAXATION OF TRUSTS

National Treasury published its much anticipated proposed annual amendments to tax legislation earlier in July. This amendments were widely anticipated to shed led on Treasury’s proposals on how to address the perceived abuse of the trust form specifically going forward, especially as relates to the now well known ‘conduit pipe’ principle (in terms of which income received in a trust may ‘flow through’ the trust and instead be taxed in the hands of the trust beneficiaries). Many in the media, and some practitioners too, widely commented and bemoaned the widely anticipated demise of this well-entrenched South African trust law principle at the hands of Parliament.

Instead, a far more nuanced and focussed approach was proposed by the new section 7C of the Income Tax Act, 58 of 1962. In terms of this new provision the conduit pipe principle is not at all affected, but rather low-interest (or interest free) loans to trusts are being targeted. This section applies where a natural person (or a company which is a ‘connected person’ in relation to that natural person) (hereafter trust creditor) makes a low-interest or interest free loan to a trust to which that natural person is a ‘connected person’. This section provides that the difference between what is termed the “official rate of interest”, currently at 8%, and the amount of interest actually charged on the loan to the trust must be deemed to be a continuing donation made by the trust. Consequently the trust creditor is taxed on deemed interest received, and that while typically the trust will be unable to claim a deduction on interest paid. To the extent further that the deemed interest gives rise to an increased income tax liability in the hands of the trust creditor, and if the creditor does not recover said interest amount from the trust, the debtor is further deemed to have received a donation which in turn will be subject to donations tax at 20%.

We consider that the proposed amendments (proposed to be effective from 1 March 2017) should address two forms of perceived abuse of the trust for tax purposes:
  1. In the first instance, it is a common estate duty planning practice for an individual to sell assets on interest free loan account to a family trust to ensure that value-growth of the asset (and thus the estate) accumulates in the trust going forward, while the value of the estate of the individual remains the same. Individuals will now have to think twice before entering into these estate duty planning exercises: a sale on interest free loan account may very well still result in an estate duty saving ultimately (although ironically not effectively for the taxpayer but his/her heirs), but now at a cost of interest accruing to the individual throughout his or her lives and which is subject to income tax on an annual basis; and
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  2. Secondly, the practice referred to as ‘income splitting’ is addressed (whereby trust distributions are made to various trust beneficiaries who are taxed at lower marginal tax rates): typically these distributions too would be made on interest free loan account, again therefore resulting in income tax consequences for the individuals in the form of ongoing income tax on the deemed interest received.
On January 11, the President sign the amendment bill into law, which means that this section will be effective on any loans as from 1 March 2017. While we will keep our client base informed of any developments in this regard as appropriate, it may be prudent to contact us now already to start discussing how most efficiently to manage any risks emanating from the above amendment.

This article is a general information sheet and should not be used or relied upon as professional advice. No liability can be accepted for any errors or omissions nor for any loss or damage arising from reliance upon any information herein. Always contact your financial adviser for specific and detailed advice. Errors and omissions excepted (E&OE)

CMV Group of Companies

Tel : 012 991 4400
Fax : 012 991 3001
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E-mail: info@cmv.co.za

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