Part 4-1
-
Special rules mainly about particular ways entities are organised
Division 48
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GST groups
Subdivision 48-A
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Approval of GST groups
48-10.03
Membership requirements for trusts
(1)
For subparagraph
48-10(1)(a)(ii)
of the Act, the requirements that must be satisfied for a trust to be a member of a GST group are:
(a)
if the GST group consists only of fixed trusts
-
either the requirements set out in this regulation or the alternative requirements set out in regulation
48-10.03A
; and
(b)
in any other case
-
the requirements set out in this regulation.
Note
The trust must also satisfy other membership requirements set out in section 48-10 of the Act.
History
Reg 48-10.03(1) substituted by SR No 37 of 2003, reg 3 and Sch 1 item 8, effective 1 April 2003. Reg 48-10.03(1) formerly read:
(1)
For subparagraph
48-10(1)(a)(ii)
of the Act, this regulation sets out requirements that must be satisfied for a trust to be a member of a GST group.
Note:
The trust must also satisfy other membership requirements set out in section
48-10
of the Act.
Reg 48-10.03(1) amended by SR No 268 of 2000, reg 3 and Sch 1 item 6, by omitting
"
the purposes of
"
before
"
subparagraph
"
, effective 28 September 2000.
(2)
One of the following must be satisfied for the trustee of the trust (the
candidate trustee
):
(a)
the candidate trustee has at least a 90% stake in a company that is a member of the GST group (worked out in accordance with section 190-5 of the Act as if the trustee were a company);
(b)
the candidate trustee distributes any income or capital of the trust only to beneficiaries that are permitted beneficiaries (whether or not other distributions could lawfully be made);
(c)
the candidate trustee is the sole beneficiary of any distribution of income or capital by the trustee of another trust that is a member of the GST group;
(d)
the candidate trustee distributes income or capital of the trust, and the trustee of another trust that is a member of the GST group distributes income or capital of the other trust, only to persons who are all family members of the same individual (whether or not other distributions could lawfully be made).
Note
Distributions to beneficiaries may be direct or indirect (regulation 48-10.01A).
History
Reg 48-10.03(2) substituted by SR No 37 of 2003, reg 3 and Sch 1 item 9, effective 1 April 2003. Reg 48-10.03(2) formerly read:
(2)
The trustee:
(a)
must have at least a 90% stake in a company that is a member of the GST group (worked out in accordance with section
190-5
of the Act as if the trustee were a company); or
(b)
must not distribute any income or capital of the trust to a beneficiary that is not a permitted beneficiary (whether or not a distribution of that kind could be lawfully made).
(3)
Each of the following is a
permitted beneficiary
:
(a)
a company that is a member of the GST group;
(b)
a charitable institution, a trustee of a charitable fund, or a gift-deductible entity;
(c)
an individual who is a member of the GST group;
(d)
a family member of an individual who is a member of the GST group;
(e)
a trustee of a trust that is a member of the GST group.
History
Reg 48-10.03(3) amended by SR No 37 of 2003, reg 3 and Sch 1 item 10, effective 1 April 2003, by substituting para (d) and inserting para (e). Paragraph (d) formerly read:
(d)
a family member of an individual who is a member of the GST group.
Reg 48-10.03(3) amended by SR No 268 of 2000, reg 3 and Sch 1 items 3 and 4, by substituting
"
entity;
"
for
"
entity.
"
in para (b), and by inserting paras (c) and (d), effective 28 September 2000.
(4)
For a company that is a member of the GST group, each representative of a shareholder of the company is also a
permitted beneficiary
if:
(a)
for a company with 1 shareholder
-
the beneficiaries of the trust include a representative of the shareholder; and
(b)
for a company with more than 1 shareholder
-
the beneficiaries of the trust include at least 2 beneficiaries who are representatives of different shareholders.
History
Reg 48-10.03(4) substituted by SR No 37 of 2003, reg 3 and Sch 1 item 11, effective 1 April 2003. Reg 48-10.03(4) formerly read:
(4)
A member or members of a company that is a member of the GST group, and their family members, are also
permitted beneficiaries
if:
(a)
for a company with 1 member
-
the member, or a family member of the member, is a beneficiary of the trust (either directly, or indirectly through 1 or more interposed trusts); and
(b)
for a company with more than 1 member
-
the beneficiaries of the trust include members of the company, or family members of the members, in a way that ensures that at least 2 members of the company are represented:
(i)
either personally or by a family member; and
(ii)
either directly, or indirectly through 1 or more interposed trusts.
(5)
For a partnership that is a member of the GST group, each representative of a partner in the partnership is also a
permitted beneficiary
if the beneficiaries of the trust include at least 2 beneficiaries who are representatives of different partners.
History
Reg 48-10.03(5) substituted by SR No 37 of 2003, reg 3 and Sch 1 item 12, effective 1 April 2003. Reg 48-10.03(5) formerly read:
(5)
Partners in a partnership that is a member of the GST group, and their family members, are also
permitted beneficiaries
if the beneficiaries of the trust include partners, or family members of the partners, in a way that ensures that at least 2 partners are represented:
(a)
either personally or by a family member; and
(b)
either directly, or indirectly through 1 or more interposed trusts.