PART III
-
LIABILITY TO TAXATION
Division 6D
-
Provisions relating to certain closely held trusts
History
Div 6D inserted by No 70 of 1999.
Subdivision E
-
Making correct TB statement about trustee beneficiaries of tax-preferred amounts
History
Subdiv E heading substituted by
No 143 of 2007
, s 3 and Sch 4 item 37, applicable to the first income year starting on or after 24 September 2007 and later income years. The heading formerly read:
Subdivision E
-
Making correct UB statement about ultimate beneficiaries of tax-preferred amounts
Subdiv E inserted by No 70 of 1999.
SECTION 102UT
REQUIREMENT TO MAKE CORRECT TB STATEMENT ABOUT TRUSTEE BENEFICIARIES OF TAX-PREFERRED AMOUNTS
102UT(1)
If, at the end of a year of income:
(a)
a trustee beneficiary of a closely held trust is presently entitled to a share of a tax-preferred amount of the trust; and
(b)
the trustee of the closely held trust is not covered by a determination under subsection
102UK(1A)
for the year of income; and
(c)
the closely held trust is none of the following:
(i)
a family trust (within the meaning of section
272-75
in Schedule
2F
);
(ii)
a trust in relation to which an interposed entity election has been made and is in force in accordance with section
272-85
in Schedule
2F
;
(iii)
a trust covered by subsection
272-90(5)
in Schedule
2F
;
the trustee of the closely held trust must, during the TB statement period, make and send to the Commissioner a correct TB statement covering the share.
History
S 102UT(1) amended by No 95 of 2019, s 3 and Sch 4 item 4, by inserting para (c), effective 1 January 2020 and applicable in relation to years of income starting on or after 1 July 2019.
S 102UT(1) substituted by
No 143 of 2007
, s 3 and Sch 4 item 38, applicable to the first income year starting on or after 24 September 2007 and later income years. S 102UT(1) formerly read:
102UT(1)
If, at the end of a year of income, a trustee beneficiary of a closely held trust is presently entitled to a share of a tax-preferred amount of the trust, the trustee of the closely held trust must, during the UB statement period, make and send to the Commissioner a statement of either of the following kinds, or statements of the following kinds, covering the whole of the share of the tax-preferred amount:
(a)
a correct UB statement;
(b)
a correct statement in writing that there is no ultimate beneficiary.
102UT(2)
For the purposes of the
Taxation Administration Act 1953
, if the trustee contravenes the requirement in subsection (1) of this section to make and send a statement to the Commissioner, then, subject to subsection (3) of this section, the trustee commits an offence against section
8C
of that Act.
History
S 102UT(2) amended by No 4 of 2016, s 3 and Sch 4 items 1 and 188, by substituting
"
commits
"
for
"
is guilty of
"
, effective 10 March 2016.
102UT(3)
The trustee does not commit an offence against section
8C
of the
Taxation Administration Act 1953
as a result of a contravention of the requirement if:
(a)
the trustee did not know all the information required to be included in the statement; and
(b)
the trustee had taken reasonable steps to ascertain the information that he or she did not know; and
(c)
if the trustee did know some of the information, he or she included it in a statement that he or she sent to the Commissioner during the TB statement period.
History
S 102UT(3) amended by No 4 of 2016, s 3 and Sch 4 item 397, by substituting
"
does not commit
"
for
"
is not guilty of
"
, effective 10 March 2016.
S 102UT(3) amended by
No 143 of 2007
, s 3 and Sch 4 items 39 and 40, by omitting
"
or statements
"
after
"
in the statement
"
in para (a) and after
"
in a statement
"
in para (c) and substituting
"
TB
"
for
"
UB
"
in para (c), applicable to the first income year starting on or after 24 September 2007 and later income years.
102UT(4)
The only burden of proof that the trustee bears in respect of subsection (3) is the burden of adducing or pointing to evidence that suggests a reasonable possibility that the matter in question existed.
History
S 102UT inserted by No 70 of 1999.