Table: Transferor trust exemption codesCode | Subsection/section |
---|
1 | 102AAT(1)(a)(i)(A) to (D) The transfer was: - made to a non-resident discretionary trust
- an arm's length transaction undertaken in the ordinary course of business.
|
2 | 102AAT(1)(a)(i)(A) to (C) and (E) The transfer was: - made to a non-resident discretionary trust
- an arm's length transaction not undertaken in the ordinary course of business
- one where neither the transferor nor its associates were in a position to control the trust (from the time of the transfer until the end of the transferor's current year of income).
|
3 | 102AAT(1)(a)(i)(A) to (C) and (F) The transfer was: - made to a non-resident discretionary trust
- made either on or before 12 April 1989
- one where neither the transferor nor its associates were in a position to control the trust (from 12 April 1989 until the transferor's current year of income).
This exemption will not apply to transfers made in the last 3 income years. |
4 | 102AAT(1)(a)(ii)(A) to (C) The transfer was: - made to a non-resident non-discretionary trust
- made either on or after 12 April 1989
- for a consideration equal to or greater than the arm's length amount.
|
5 | 102AAT(1)(a)(ii)(A), (B) and (D) The transfer was: - made to a public unit trust (that is a non-resident trust estate)
- made either on or after 12 April 1989
- for a consideration equal to or greater than the arm's length amount
- one where the sole purpose of the transaction was the arm's length acquisition of units in a public unit trust.
|
6 | 102AAZE De minimis exemption The transfer was made to a non-resident trust that is a resident of a listed country and the total of the attributable incomes of all non-resident trust estates is equal to or less than the lesser of either: - $20,000
- 10% of the total of the net incomes of the trust estates.
|
7 | No exemption code applies A reporting entity selects code 7 ‘No exemption code applies’ at question 27 – label C where none of the other Appendix 8 exemption codes apply to a relevant top 3 transfer to a non-resident trust (as required by question 27). |
Continue to: Appendix 9: Percentage of dealings with documentation
Return to: Appendixes for the IDS