Global Minimum Corporate Tax: A Death Knell for African Country Tax Policies? A Titus Intertax 50 (5), 2022 | 9 | 2022 |
Pillar Two and African countries: what should their response be? The case for a regional one A Titus Intertax 50 (10), 2022 | 5 | 2022 |
The Promise of Non-arm’s Length Practices: Is the Destination-Based Cash Flow Tax or Unitary Taxation the Panacea of Which Developing Countries Are in Search? A Titus Taxation, International Cooperation and the 2030 Sustainable Development …, 2021 | 5 | 2021 |
The impact of Chinese trade and investment in Africa on the African tax base–more costs than benefits? A Titus Available at SSRN 3788846, 2021 | 2 | 2021 |
Domestic Revenue Mobilization through Corporate Income Tax in an East African Developing Country Context A Titus Dalhousie LJ 44, 151, 2021 | 2 | 2021 |
May an investment in interest-bearing securities constitute a trade for the purposes of the Income Tax Act? A Titus South African Law Journal 133 (3), 504-521, 2016 | 2 | 2016 |
Sasol Oil v CSARS: Judicial Reinterpretation of Legal Doctrine to Address Tax Avoidance in South Africa J Hattingh, A Titus | 1 | 2020 |
The relationship between tax incentives and human rights obligations in the drive to attract foreign direct investment: are developing countries in Africa getting it right? A Titus, T Gutuza Acta Juridica 2018 (1), 149-182, 2018 | 1 | 2018 |
Tax Justice for Women: Navigating the Path to Economic Empowerment in Post-Apartheid South Africa [pre-publication] A Titus Intertax 52 (6/7 [pre-publication]), 2024 | | 2024 |
Redesigning Tax Systems: Tax Justice for Women: Navigating the Path to Economic Empowerment in Post-Apartheid South Africa A Titus Intertax 52 (6), 501-516, 2024 | | 2024 |
899 C49 The Perspective of the EAC on International Tax Law A Titus The Oxford Handbook of International Tax Law, 899-C49N132, 2023 | | 2023 |
The Perspective of the EAC on International Tax Law A Titus | | 2023 |
Tax Policy for the Future of Developing Countries: The Synergies between COVID-19 and Automation A Titus Available at SSRN 3955692, 2021 | | 2021 |
The design of a corporate income tax system and how to protect it for the East African Federation AL Titus Universiteit van Amsterdam, 2020 | | 2020 |
Pienaar Bros (Pty) Ltd v CSARS, retroactive fiscal legislation and the rule of law : has South Africa just taken a step back in its constitutional democracy? A Titus South African Law Journal 136 (3), 404-420, 2019 | | 2019 |
Designing a General Anti-Avoidance Rule for the East African Community - A Comparative Analysis A Titus World Tax Journal 11 (2), 2019 | | 2019 |
How Can the East African Community Guard Against Base Erosion and Profit Shifting While Working Towards Deeper Integration? Lessons from the European Union A Titus World Tax J., 565, 2017 | | 2017 |
A review of the taxation of partnerships in South Africa over the last 100 years A Titus Income Tax in South Africa: The First 100 Years (1914 - 2014), 132 - 143, 2016 | | 2016 |
The role of the limited partner deeming provision in the Income Tax Act: does section 24h (2) achieve its intended purpose? A Titus Obiter 35 (3), 658-671, 2014 | | 2014 |
FISCAL FEDERALISM AND THE EAC: THE WAY FORWARD A Titus International Law Journal on Law, Economics and Politics, 1, 2014 | | 2014 |