ATO Interpretative Decision

ATO ID 2004/570

Income Tax

Commercial debt forgiveness: notional value - debt becomes non-recourse
FOI status: may be released

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If you reasonably apply this decision in good faith to your own circumstances (which are not materially different from those described in the decision), and the decision is later found to be incorrect you will not be liable to pay any penalty or interest. However, you will be required to pay any underpaid tax (or repay any over-claimed credit, grant or benefit), provided the time limits under the law allow it. If you do intend to apply this decision to your own circumstances, you will need to ensure that the relevant provisions referred to in the decision have not been amended or repealed. You may wish to obtain further advice from the Tax Office or from a professional adviser.

Issue

For a forgiven debt to satisfy the definition of a non-recourse debt under subsection 245-60(1) of Schedule 2C to the Income Tax Assessment Act 1936 (ITAA 1936), must it have been non-recourse at all times since the debt was incurred?

Decision

No. A forgiven debt satisfies that definition provided that at the time of forgiveness of the debt, the rights of the creditor were limited to all or any of the rights specified in paragraphs 245-60(1)(a),(b) or (c) of Schedule 2C to the ITAA 1936.

Facts

Debtor incurred a debt that was a commercial debt for the purposes of section 245-25 of Schedule 2C to the ITAA 1936.

The relevant agreement between Creditor and Debtor provided that in the event of Debtor making certain payments over two years, the rights of Creditor in relation to the balance of the debt then outstanding would be limited in a way specified in subsection 245-60(1) of Schedule 2C to the ITAA 1936.

Debtor made those requisite payments.

After 27 June 1996 the (now) non-recourse balance of the debt was forgiven by Creditor such that subsection 245-35(1) of Schedule 2C to the ITAA 1936 applied.

Reasons for Decision

Section 245-10 of Schedule 2C to the ITAA 1936 provides that Schedule 2C to the ITAA 1936 applies where the forgiveness of a commercial debt occurs after 27 June 1996.

The notional value of a non-recourse debt is calculated under section 245-60 of Schedule 2C to the ITAA 1936.

For subsection 245-60(2) of Schedule 2C to the ITAA 1936 to apply to calculate the notional value of a forgiven debt, the relevant debt must satisfy the definition of a 'non-recourse debt' in subsection 245-60(1) of Schedule 2C.

In the present circumstances the debt could not possibly satisfy that definition until Debtor had made the requisite payments.

The definition of a non-recourse debt in subsection 245-60(1) of Schedule 2C to the ITAA 1936 is based upon two concepts:

firstly, the debt being incurred for certain financing purposes, and
secondly, the creditor's rights in the event of the debtor's default being limited in a specified manner.

In the absence of an explicit time in subsection 245-60(1) of Schedule 2C to the ITAA 1936, for determining whether a debt is a non-recourse debt, it is appropriate to make such a determination at the time of forgiveness of the debt, as the term is only of relevance in determining a notional value under subsection 245-60(2) of Schedule 2C upon forgiveness of the debt.

Date of decision:  5 July 2004

Year of income:  Year ended 30 June 2004

Legislative References:
Income Tax Assessment Act 1936
   Schedule 2C
   section 245-10
   section 245-25
   subsection 245-35(1)
   section 245-60
   subsection 245-60(1)
   paragraph 245-60(1)(a)
   paragraph 245-60(1)(b)
   paragraph 245-60(1)(c)
   subsection 245-60(2)

Keywords
CDF notional value
Debt forgiveness
Debt waivers
Non recourse loans

Siebel/TDMS Reference Number:  4128401

Business Line:  Public Groups and International

Date of publication:  9 July 2004

ISSN: 1445-2782