Sars has achieved a significant victory in the Tax Court against a taxpayer involved in the controversial locomotive procurement deals from the State Capture era, highlighting the revenue service's relentless pursuit of tax accountability.
The South African Revenue Service (Sars) has secured a significant victory in the Tax Court against a taxpayer linked to the controversial Chinese locomotive procurement deals that emerged during South Africa’s State Capture era, underlining the tax authority’s increasingly aggressive pursuit of historic tax matters.
In the matter of Taxpayer LE (Pty) Ltd v CSARS, the Tax Court upheld additional tax assessments and a hefty 200% understatement penalty imposed by Sars for the 2013 to 2018 tax years. The case centred on allegations that the taxpayer overstated billions of rand in costs linked to locomotive procurement contracts associated with Marshall SOC Ltd.
According to the judgment, Sars alleged that approximately R3 billion in expenses had been inflated through related-party transactions and consultancy arrangements that the tax authority argued were not incurred in the production of income. Sars further challenged substantial interest deductions claimed by the taxpayer.














