National Health Act, 2003
R 385
Tax Administration Act, 2011 (Act No. 28 of 2011)Chapter 16 : Understatement PenaltyPart B : Voluntary disclosure programme227. Requirements for valid voluntary disclosure |
The requirements for a valid voluntary disclosure are that the disclosure must—
| (a) | be voluntary; |
| (b) | involve a "default" which has not occurred within five years of the disclosure of a similar 'default' by the applicant or a person referred to in section 226(3); |
[Paragraph (b) substituted by section 66 of the Tax Administration Laws Amendment Act, 2015 (Act No. 23 of 2015)]
| (c) | be full and complete in all material respects; |
| (d) | involve a behaviour referred to in column 2 of the understatement penalty percentage table in section 223; |
[Paragraph (d) substituted by section 66 of the Tax Administration Laws Amendment Act, 2015 (Act No. 23 of 2015)]
| (e) | not result in a refund due by SARS; |
| (f) | be made in the prescribed form and manner; and |
| (g) | not constitute an ‘underpayment’ as defined in section 77Z of the Customs and Excise Act, 1964. |
[Section 227(g) substituted by section 22(c) of the Tax Administration Laws Amendment Act, 2026, Notice No. 7343, GG54447, dated 1 April 2026]