Updated SARS VDP Guide,
Key Changes and Practical Implications
SARS has now issued a substantially expanded Voluntary Disclosure Programme (“VDP”) Guide, materially broadening its interpretation of the qualification requirements, voluntariness principles, audit considerations and prescription implications under Chapter 16 of the Tax Administration Act.
This practical webinar unpacks SARS’ updated interpretation of the VDP framework, the growing enforcement environment driving disclosures, and the significant strategic and financial risks facing taxpayers seeking to regularise historic non-compliance.
Particular focus will also be placed on the continued uncertainty surrounding interest remission following the Constitutional Court’s Medtronic judgment and the subsequent National Budget Review commentary.
Date:
9 June 2026
Time:
10:00-11:00
Platform:
Zoom
Cost:
R220
CPD Points:
1.0
Cost:
R220
CPD Points:
1.0
With SARS intensifying enforcement activity, enhanced data analytics and verification processes, taxpayers can no longer assume historic defaults will remain undetected indefinitely.
Key topics
In this session, the following key topics will be discussed:
- SARS’s Expanded Interpretation of the VDP Framework
- What Constitutes a “Voluntary” Disclosure
- Audits vs Verifications, Practical Qualification Risks
- Prescription and Reopening Historic Tax Periods
- Defaults, Tax Positions and Understatement Analysis
- When a VDP May Be Rejected by SARS
- The Contractual Nature of VDP Agreements
- Interest Remission
- Strategic Risks in Regularising Historic Tax Non-Compliance
- Practical Considerations Before Filing a VDP
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Who Should Join?
Tax Practitioners
& Tax Consultants
Accountants
& Auditors
Compliance Officers
Legal Advisors
Finance Managers
Meet The Speakers
André Daniels
Head of Tax Controversy & Dispute Resolution
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André Daniels is the Head of Tax Controversy and Dispute Resolution. He holds an LLB degree from the University of Johannesburg and brings over six years of post-admission experience in the legal field. As an admitted attorney of the High Court of South Africa, André has extensive expertise in litigation and consulting. He specializes in navigating the complexities of tax dispute resolution, with a strong focus on legal strategy. His responsibilities include managing tax disputes, overseeing voluntary disclosures, and leading his team in all matters related to SARS engagements.
Richan Schwellnus
Team Lead: Tax Controversy & International Tax
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Richan Schwellnus is well-versed in advising both individual and corporate clients on cross-border transactions, relocations and acquisitions. Having completed BCom Law, BCom Honours and LLB degrees, Richan is currently reading towards his LLM Tax Law degree from the University of Pretoria. Richan is also an admitted attorney of the High Court of South Africa, and a General Tax Practitioner registered with the South African Institute of Taxation (SAIT). Richan specialises in individual tax planning, corporate restructuring, and tax dispute resolution with SARS, assisting clients to achieve optimal tax compliance.