https://www.polity.org.za
Deepening Democracy through Access to Information
Home / Legal Briefs / All Legal Briefs RSS ← Back
Close

Email this article

separate emails by commas, maximum limit of 4 addresses

Sponsored by

Close

Embed Video

Transfer duty implications arising from the 2016 Budget Speech

Transfer duty implications arising from the 2016 Budget Speech

26th February 2016

SAVE THIS ARTICLE      EMAIL THIS ARTICLE

Font size: -+

In the 2016 Budget recently delivered by Minister of Finance, Pravin Gordhan, it was announced that our current taxes on wealth are under review by the Davis Committee.

Although the calculation of transfer duty in respect of transactions with a property value under R10 million has not been affected, a further tax bracket has been implemented in respect of the transfer duty rate on the portion of the property value above R10 million, which will increase from 11% to 13%.

Advertisement

With effect from 1 March 2016, transfer duty will therefore be payable at the following rates on transactions which are not subject to VAT:

Value of Property                                                      Transfer duty

Advertisement

R0 – R750 000                                                            0%

R750 001 – R1 250 000                                              3% of the value above R750 000

R1 250 001 – R1 750 000                                           R15 000 + 6% of the value above R1 250 000

R1 750 001 – R2 250 000                                           R45 000 + 8% of the value above R1 750 000

R2 250 001 – R10 000 000                                         R85 000 + 11% of the value exceeding R2 250 000

R10 000 001 and above                                              R937 500 + 13% of the value exceeding R10 000 000

Transfer duty payable in respect of property transactions where the underlying agreements were concluded on or after 1 March 2016 will therefore be subject to the new transfer duty provisions and will be calculated as per the above table.

Agreements concluded prior to 1 March 2016 will therefore still be subject to the calculation of transfer duty based on the previous tax dispensation, notwithstanding that the date of fulfilment of suspensive conditions in terms of such agreements, or the registration of the transfers of the properties under those agreements may occur after 1 March 2016.

The Minister stated that higher capital gains inclusion rates and measures to strengthen the estate duty and donations tax are also proposed.

Written by By Simone Immelman, Director, Real Estate Practice, Cliffe Dekker Hofmeyr

EMAIL THIS ARTICLE      SAVE THIS ARTICLE

To subscribe email subscriptions@creamermedia.co.za or click here
To advertise email advertising@creamermedia.co.za or click here

Comment Guidelines

About

Polity.org.za is a product of Creamer Media.
www.creamermedia.co.za

Other Creamer Media Products include:
Engineering News
Mining Weekly
Research Channel Africa

Read more

Subscriptions

We offer a variety of subscriptions to our Magazine, Website, PDF Reports and our photo library.

Subscriptions are available via the Creamer Media Store.

View store

Advertise

Advertising on Polity.org.za is an effective way to build and consolidate a company's profile among clients and prospective clients. Email advertising@creamermedia.co.za

View options

Email Registration Success

Thank you, you have successfully subscribed to one or more of Creamer Media’s email newsletters. You should start receiving the email newsletters in due course.

Our email newsletters may land in your junk or spam folder. To prevent this, kindly add newsletters@creamermedia.co.za to your address book or safe sender list. If you experience any issues with the receipt of our email newsletters, please email subscriptions@creamermedia.co.za