Abstract
Due to tough economic conditions, more retailers are relying on lay-by agreements
to maintain revenue. Lay-by agreements are thus part of their business models and
are included in their forecasting and budgeting strategies. As part of financial planning,
decisions need to be made based on financial information to achieve organisational goals. A
recent South African income tax amendment regarding lay-by agreements resulted in three
possible income tax interpretations. This study analysed and evaluated the implications of
these amendments for South African deferred tax. The study utilised a doctrinal approach
in an interpretive paradigm. The results show that the amendment in the South African
Income Tax Act relating to lay-by agreements has an impact on deferred tax calculations,
depending on the tax interpretation used. The resulting ambiguity and diversion in the
practice of the deferred tax treatment may potentially lead to less useful financial information,
contrary to the objectives of the International Accounting Standards Board for effective
decision making. This study recommends that the National Treasury should clarify this
ambiguity, through either legislative amendments or an interpretation note. This will create
the necessary certainty for organisations to plan their finances.