(1) Whether he is able to give an indication of the holiday clubs that generate income run according to the point system and are not run according to the Sectional Titles Act, Act 95 of 1986, and/or the Share Blocks Control Act, Act 59 of 1980; (2) whether holiday clubs based on a point system are classified as entities that qualify for exemptions in terms of scetion 10(1)(e) of the Income Tax Act, Act 58 of 1962; if so, on what grounds; if not, (3) whether the billions of rands that this type of holiday club generates (a) are taxed or (b) will be taxed; if not, why not; if so, how much tax has been collected from the point system clubs since 2000 for each individual financial year; (4) whether the National Treasury will undertake a fullscale investigation into the financial and specifically the tax matters of the (a) holiday clubs based on the point system, (b) groups, (c) relationships and (d) subsidiaries (i) in which and (ii) by means of which they are run and that are exempted from such Act on an unlawful basis?