Taxation Determination

TD 93/133

Income tax: Offshore Banking Units - is an OBU entitled to concessional tax treatment for income from OB activities which were entered into prior to the entity being registered as an OBU?

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FOI status:

may be releasedFOI number: I 1215545

This Determination, to the extent that it is capable of being a 'public ruling' in terms of Part IVAAA of the Taxation Administration Act 1953 , is a public ruling for the purposes of that Part. Taxation Ruling TR 92/1 explains when a Determination is a public ruling and how it is binding on the Commissioner. Unless otherwise stated, this Determination applies to years commencing both before and after its date of issue. However, this Determination does not apply to taxpayers to the extent that it conflicts with the terms of a settlement of a dispute agreed to before the date of issue of the Determination (see paragraphs 21 and 22 of Taxation Ruling TR 92/20).

1. No, because the activities are not offshore banking (OB) activities.

2. Division 9A of the Income Tax Assessment Act 1936 concessionally taxes OB income of an OBU at an effective rate of 10%. OB income is derived from 'OB activities' which are listed in section 121D.

3. To be an 'OB activity', the transaction must be made by an OBU. Section 128AE states that trading and savings banks, State banks, other financial institutions and wholly owned subsidiaries of banks which are OBUs may be registered as OBUs. Therefore, where the transaction is entered into before registration as an OBU, the activity is not an OB activity and income from that activity does not get the concessional rate of tax. It also follows that transactions entered into before registration cannot subsequently become OB activities when the entity is registered as an OBU.

Commissioner of Taxation
8/7/93

Previously issued as Draft TD93/D33

References

ATO references:
NO NO 92/9494-5

ISSN 1038 - 8982

Related Rulings/Determinations:

TD 93/131

Legislative References:
ITAA 121D

TD 93/133 history
  Date: Version: Change:
You are here 8 July 1993 Original ruling  
  13 October 2021 Consolidated ruling Addendum