Land transfer duty is calculated on the dutiable value of the property. In Commissioner of State Revenue (Vic) v 1043 Melton Highway Pty Ltd [2020] VSC 820, the Supreme Court considered default interest is included in ‘consideration’ for the transfer of dutiable property.
Sladen snippet - Wind farm turbines considered to be chattels not fixtures
In the recent decision of AWF Prop Co 2 Pty Ltd and Ararat Wind Farm Pty Ltd v Ararat Rural City Council and Valuer General Victoria [2020] VSC 853, the Supreme Court of Victoria ruled in favour of the wind farm owners and determined the various wind farm assets (such as wind turbines) to be chattels rather than fixtures.
The .au domain name is coming – are you ready?
We Aussies like to shorten everything. So, it comes as no surprise that the Australian Domain Administration (auDA) has announced plans to make available a shortened Australian country domain by releasing a brand new second-level domain (2LD) for eligible Australian businesses – the highly anticipated <.au> namespace.
Sladen snippet – High Court refuses leave to appeal finding that dentist is covered by super guarantee
As discussed here, the decision in Dental Corporation Pty Ltd v Moffet [2020] FCAFC 118 (16 June 2020) (Moffet) marked an important shift in how the courts have interpreted the employee/contractor distinction for the purposes of superannuation guarantee obligations.
Sladen snippet – share trading course not deductible for SMSF
The ATO has released a private binding ruling (Ruling) on the deductibility of certain expenses incurred by a self managed superannuation fund (SMSF) trustee in managing the SMSF’s share portfolio.
COVID and State Taxes: What Victorians need to know in 2021
A Guide To Understanding Payroll Tax Part 1: The Basics
Payroll tax is a state and territory tax. It is assessed where total Australian taxable wages paid or payable to employees by an employer exceed specific thresholds. The tax is self-assessed and as such the obligation falls to employers to ensure they are aware of their total wage bill across Australian states and territories and whether those are taxable.
Payroll Tax Part 2: Director Fees
Sladen Snippet - ATO to resume super guarantee compliance action
Payroll Tax Part 3: Are Business Profits and Distributions Subject to Payroll Tax?
Changes to the taxation of testamentary trusts
Sladen snippet – Land tax surcharge triggered due to defective saving clause in the trust deed
Many state and federal taxing provisions provide different tax outcomes on the trustees of trusts depending on what type of trust is involved. One example of this is contained in the NSW land tax rules which provides for a land tax surcharge on unit trusts that are “special trusts” rather than “fixed trusts”.
Payroll Tax Series - Part 4 - The payroll tax nexus provisions
Where services are performed wholly in one Australian jurisdiction, payroll tax will be payable in that jurisdiction. For example Aaron is a receptionist and fully performs his job at an office in regional Victoria. His employer qualifies for payroll tax being charged at the regional rate, Aaron’s wages will be payable in Victoria at regional rates.
Sladen Snippet - Government announces ability to commute market linked and legacy pensions
A surprise inclusion in the Federal Government’s Mid-Year Economic and Fiscal Outlook (MYEFO) could mean good news for recipients of certain non-commutable ‘legacy’ pensions.
International Tax Series Part 7 – CGT main residence exemption for foreign resident beneficiaries of a deceased estate
Our international tax series predominantly discusses Federal tax issues relating to non-resident (foreign) beneficiaries or non-resident trustees of a trust. This seventh article of the series focuses on the CGT main residence exemption (CGT MRE) for non-resident beneficiaries of deceased estates.
Payroll Tax Series – Part 5 – Victorian concessional regional rates
Thousands of businesses across regional Victoria have already taken advantage of the Victorian Government’s regional payroll tax cuts, which have saved businesses more than $31 million in the first financial year it was introduced.
Sladen Snippet - Mere acknowledgement of trust found not to be liable
In CCSR v Benidorm Pty Ltd [2020] NSWCA 285, the NSW Court of Appeal found that a ‘declaration of trust’ did not trigger duty on the basis that it merely acknowledged the existence of an existing trust.
Sladen Snippet - Court allows trustee to amend trust deed to exclude foreign beneficiaries to avoid land tax surcharge
Many states now have foreign land tax surcharges that apply to foreign persons including trustee of foreign trusts. As a result many trustees will consider amending their trust deeds to ensure that they don’t inadvertently trigger such surcharges.
Sladen Snippet - Court awarded damages in SMSF Property Development case
While SMSF trustees should be aware of the ATO’s concerns in relation to property development (for example, as outlined in SMSFRB 2020/1), a recent Full Court of the Supreme Court of South Australia has highlighted the commercial risks of such arrangement.