Miscellaneous 2003

Shareholder Loans & Payments

Source: TAS

Published Date: 21 Feb 2003

 
Division 7A was introduced with much fanfare and was set to revolutionise the taxation of shareholder loans and payments. In recent years it may have become a 'sleeper' - but with ever increasing scrutiny by the Commissioner, now is the time to 'wake up'. Whether the issue has been the deductability of interest or the correct taxation treatment of a loan, relevant tax law issues have needed constant attention by advisors.

This session provided a detailed review of the relevant legislation and strategies that advisors should be familiar with in constructing client advice and recommendations with respect to such transactions - balancing the views of the ATO and of the profession. Reference was also made to the Treasurer's 12 December statement foreshadowing proposed amendments to Division 7A impacting distributions from family trusts to companies.

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Details

  • Published By: Brent Murphy
  • Published On:21 Feb 2003
  • Took place at:Corus Hotel, Hobart

The material is copyright. Apart any fair dealing for the purpose of private study,

research critisism or review, as permitted under the copyright Act, no part may be rerpoduced by any process without written permission from The Tax Institute.

Unless expressly stated, opinions are not that of The Tax Institute, which accepts no responsibility for the accuracy of any of the information contained within it.

This material is copyright. Apart from any fair dealing for the purpose of private study., research, critisism or review, as permitted under teh copyright Act, no part may be reproduced by any process without written permission from The Tax Institute.

Unless expressly stated, opininons are not that of The Tax Institute, which accepts no responsibility for the accuracy of any of the information contained within it.

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