Payroll Tax Series – Part 9 – General Exemptions

Payroll Tax Series – Part 9 – General Exemptions

In part 9 of our payroll tax series, we explore the different types of payroll tax exemptions employers may qualify for. While we will refer to theVictorian legislation, these principles apply across all States and Territories as the payroll tax legislation is uniformed across Australia.

Payroll Tax Series – Part 10 – Payroll Tax Grouping

Payroll Tax Series – Part 10 – Payroll Tax Grouping

In this 10th part of our payroll tax series, we explore the grouping provisions contained in the Payroll Tax 2007 (PTA 2007). While we will refer to the Victorian legislation, similar provisions exist in all states and territories due to a harmonisation of the law.

Payroll Tax Series – Part 11 - Payroll Tax De-Grouping

Payroll Tax Series – Part 11 - Payroll Tax De-Grouping

In this 11th and final part of our payroll tax series, we explore the payroll tax de-grouping provisions. While we will refer to the Victorian legislation, similar provisions exist in all states and territories due to a harmonisation of the law.

“Stamping” Of Trust Deeds In Victoria

“Stamping” Of Trust Deeds In Victoria

While the application of land transfer (stamp) duty is reasonably straight forward for land transfers such as a purchase of property under a contract of sale, the application of duty in relation to declarations of trust can be complicated.

Model agency found to be an employment agent for payroll tax purposes

Model agency found to be an employment agent for payroll tax purposes

An employment agency contract involves a contract between two parties where one of the parties (the employment agent) procures the services of a person for a client. The relevant test is whether the employment agent provided individuals who would comprise, or who would be added to, the workforce of the client for the conduct of the client's business.

State tax COVID-19 reliefs 2.0

State tax COVID-19 reliefs 2.0

In April 2020 we reported on Land Tax and Payroll Tax measures state and territory revenue offices made in response to the COVID-19 pandemic. As the ramifications of COVID-19 continue to affect Australians, these measures have since been extended and new measures announced.

Duty payable on discharge of vendor’s debt by purchaser of land

Duty payable on discharge of vendor’s debt by purchaser of land

In the recent decision of Gulliman Pty Ltd v Commissioner of State Revenue [2020] VCAT 804, the Victorian Civil and Administrative Tribunal (Tribunal) held that the discharge of debt owed by vendor to purchaser in respect of previous transaction amounts to non-monetary consideration and, therefore, was subject to land transfer (stamp) duty.

Court determines payments to a contractor not subject to payroll tax as services found to be ancillary to the supply or use of the goods

Court determines payments to a contractor not subject to payroll tax as services found to be ancillary to the supply or use of the goods

Payments made to independent contractors, under “relevant contracts”, are subject to payroll tax under the Payroll Tax Act 2007 (Vic) unless an exemption applies.

Managing Tax and Revenue Office Audits During COVID-19

Managing Tax and Revenue Office Audits During COVID-19

As the impact of COVID-19 continues to be felt across Australia, federal and state governments continue to take measures to stimulate the economy and provide financial assistance to taxpayers.

Sladen Snippet - VCAT rules land being prepared for primary production and denies exemption from land tax

Sladen Snippet - VCAT rules land being prepared for primary production and denies exemption from land tax

Most Victorian farmers who are using Victorian land solely or primarily for primary production purposes are aware of the primary production land tax exemptions under section 65, 66 or 67 (Primary Production Land Exemptions) of the Land Tax Act 2005 (the Act).

Sladen Snippet –Trust deeds of discretionary trusts holding NSW residential land must now be amended before 31 December 2020 to avoid foreign surcharges

Sladen Snippet –Trust deeds of discretionary trusts holding NSW residential land must now be amended before 31 December 2020 to avoid foreign surcharges

As referred to in our previous articles, the State Revenue Legislation Further Amendment Bill 2020 (NSW) has now received royal assent on 24 June 2020.

Primary production land tax exemption knocked back – the Annat case

Primary production land tax exemption knocked back – the Annat case

Annat v Commissioner of State Revenue [2020] VSC 108 (Annat) highlights the real risk faced by some farm owners in qualifying for a primary production land tax exemption .

Due to the Victorian State Revenue Office’s approach and scrutiny on primary production lands of late, traditional farming land owners are finding that they now must understand the difficult legislative requirements surrounding primary production land tax exemptions, the resulting structuring and record keeping requirements to ensure that they are not unintentionally exposing themselves to large land tax liabilities.

Sladen snippet: Victorian relief measures in response to the bushfires and COVID-19 pandemic now law

Sladen snippet: Victorian relief measures in response to the bushfires and COVID-19 pandemic now law

As of 1 May 2020, the State Taxation Acts Amendment (Relief Measures) Act 2020 (Vic) introduces various changes to land transfer duty and payroll tax relief measures as part of the government’s response to provide relief measures for bushfire affected areas and the COVID-19 pandemic.

Sladen Snippet: Additional Tax Relief Announced by the Victorian Government

Sladen Snippet: Additional Tax Relief Announced by the Victorian Government

The Victorian Treasurer Tim Pallas announced on 5 May 2020 that the Victorian Government will provide additional tax relief to businesses suffering as a result of COVID-19. The measures, which bring the Government’s economic survival and job package cost to $1.7billion include:

COVID-19 disruptions on your workforce and how it can shift your payroll tax liabilities to another jurisdiction

COVID-19 disruptions on your workforce and how it can shift your payroll tax liabilities to another jurisdiction

The COVID-19 crisis has introduced unprecedented disruptions to the workforce, pushing employees and employers to work in remote capacities and in expedited ways across many industries.

This will mean that employers will soon have to turn their minds to considerations never contemplated before, such as their base line payroll tax assumptions and whether or not changes in the ways we will be working in the coming months, will shift payroll tax liabilities to a different jurisdiction. We explore these questions further in this article.

Transfers to Bare Trusts: Court of Appeal Provides Clarity on Duty Exemption

Transfers to Bare Trusts: Court of Appeal Provides Clarity on Duty Exemption

The Court of Appeal handed down its decision in MD Commercial Pty Ltd v Commissioner of State Revenue [2019] VSCA 295 in late 2019. The decision has provided further clarity on the application of section 35 of the Duties Act 2000 (Vic) which provides an exemption from duty for transfers to bare trusts.