High Court Confirms Jurisdictional Boundaries in SARS Penalty Disputes

The Free State High Court recently reaffirmed the jurisdictional limits of the High Court regarding tax disputes with the South African Revenue Service (“SARS”), in the Ditsoane Trading and Project CC v CSARS (4438/2023) [2025] ZAFSHC 300 case. This judgment underscores that disputes relating to understatement penalties under sections 222 and 223 of the Tax Administration Act, No. 28 of 2011 (“TAA”) must, as a general rule, be dealt with through the tax board or tax court, unless a High Court expressly directs otherwise under section 105 of the TAA.

Tax Audit

André Daniels
Head of Tax Controversy And Dispute Resolution
Admitted Attorney, LLB

Tax Audit

Richan Schwellnus
Cross-Border Taxation Attorney
Admitted Attorney,
General Tax Practitioner (SA)™ (SAIT)