PART III
-
LIABILITY TO TAXATION
Division 6D
-
Provisions relating to certain closely held trusts
History
Div 6D inserted by No 70 of 1999.
Subdivision A
-
Overview
History
Subdiv A inserted by No 70 of 1999.
SECTION 102UA
WHAT THIS DIVISION IS ABOUT
102UA(1)
[
Main purpose]
The main purpose of this Division is to ensure that the trustee of a closely held trust with one or more trustee beneficiaries that are presently entitled to a share of the income or of a tax-preferred amount of the trust advises the Commissioner soon after the end of the year of income of certain details about those trustee beneficiaries. This will allow the Commissioner to check whether the assessable income of the trustee beneficiaries includes the correct share of net income, and whether the net assets of the trustee beneficiaries reflect the receipt of the tax-preferred amounts.
History
S 102UA(1) substituted by
No 143 of 2007
, s 3 and Sch 4 item 1, applicable to the first income year starting on or after 24 September 2007 and later income years. S 102UA(1) formerly read:
102UA(1)
The main purpose of this Division is to ensure that the trustee of a closely held trust with a trustee beneficiary advises the Commissioner of the ultimate beneficiaries of certain net income and tax-preferred amounts of the trust soon after the end of the year of income. This will allow the Commissioner to check whether the assessable income of the ultimate beneficiaries correctly includes any required share of that net income, and whether the net assets of the ultimate beneficiaries reflect the receipt of the tax-preferred amounts.
102UA(2)
[
Trustee beneficiary]
To achieve this purpose, the Division:
(a)
provides for the trustee to correctly identify the trustee beneficiaries within a specified period after the end of the year of income; and
(b)
if the trustee fails to do so, provides for taxation at a penalty rate (in the case of net income) or offences under the
Taxation Administration Act 1953
(in the case of tax-preferred amounts).
History
S 102UA(2) amended by
No 143 of 2007
, s 3 and Sch 4 item 2, by substituting
"
trustee
"
for
"
ultimate
"
in para (a), applicable to the first income year starting on or after 24 September 2007 and later income years.
102UA(3)
[
Trustee becomes presently entitled]
This Division also provides that, where the trustee of the closely held trust becomes presently entitled to an amount that is reasonably attributable to the whole or a part of the share of the net income of the closely held trust, there will also be taxation at a penalty rate.
History
S 102UA(3) amended by
No 143 of 2007
, s 3 and Sch 4 item 3, by substituting
"
the trustee of the closely held trust becomes presently entitled to an amount that is reasonably attributable to the whole or a part of the share of the net income of the closely held trust
"
for
"
there are in fact no ultimate beneficiaries of net income of the closely held trust
"
, applicable to the first income year starting on or after 24 September 2007 and later income years.
S 102UA inserted by No 70 of 1999.