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Afton Titus
Title
Cited by
Cited by
Year
Global Minimum Corporate Tax: A Death Knell for African Country Tax Policies?
A Titus
Intertax 50 (5), 2022
92022
Pillar Two and African countries: what should their response be? The case for a regional one
A Titus
Intertax 50 (10), 2022
52022
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
52021
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
22021
Domestic Revenue Mobilization through Corporate Income Tax in an East African Developing Country Context
A Titus
Dalhousie LJ 44, 151, 2021
22021
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
22016
Sasol Oil v CSARS: Judicial Reinterpretation of Legal Doctrine to Address Tax Avoidance in South Africa
J Hattingh, A Titus
12020
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
12018
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
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Articles 1–20