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Sladen Legal Lawyers recognised in Best Lawyers in Australia 2023
Sladen Legal’s Bernie O’Sullivan, Daniel Smedley, Victor Di Felice, Phil Broderick, Robert Jeremiah and Neil Brydges have received recognition in the Best Lawyers® in Australia 2023 Edition.
Land development and sale: Are you sure you are not required to be registered for GST?
The oft-debated question as to whether the development, subdivision and sale of land constitutes the mere realisation of a capital asset in an enterprising way has once again been considered in the Administrative Appeals Tribunal (AAT) case of Ian Mark Collins & Mieneke Mianno Collins ATF The Collins Retirement Fund and Commissioner of Taxation (Taxation) [2022] AATA 628 (Collins)
Section 100A: welcome Media Release by the Assistant Treasurer
We wrote that 2022 is the ‘Year of 100A’ after the Australian Taxation Office (ATO) released three guidance products, two in draft, on section 100A and the ATO’s appeal to the Full Federal Court from the decision of Logan J in Guardian AIT Pty Ltd ATF Australian Investment Trust v FCT [2021] FCA 1619 on section 100A.
Sladen Legal Property Team Recognised In Doyle's Guide Victoria 2022
Congratulations to Sladen Legal Principal, Victor Di Felice, who has been has been identified by clients and peers for his expertise and abilities as Recommended in Doyle's Guide's Leading Real Estate Property Lawyers - Victoria, 2022.
FCT v Carter: trust disclaimers not effective for tax
In one sense, the High Court judgment in FCT v Carter [2022] HCA 10 (Carter) will come as welcome relief for tax advisors. That is, after dealing with the Australian Taxation Office’s (ATO) view of the ‘lore’ in the form of practical compliance guidelines, Carter turns minds back to the ‘law.’ Unfortunately, the law in Carter can result in unpleasant tax outcomes for certain trust beneficiaries.
2022: year of 100A
Quoting Winston Churchill, we said that the Federal Court decision in Guardian AIT Pty Ltd ATF Australian Investment Trust v FCT [2021] FCA 1619 (Guardian AIT) concerning section 100A of the Income Tax Assessment Act 1936 is perhaps the “end of the beginning” of what may become increased clarity on the judicial and administrative approach to that section.
Draft Practical Compliance Guideline PCG 2022/D1: are you on the highway to hell?
After our semi-serious opening statement on the Australian Taxation Office’s (ATO) recently released guidance on section 100A and unpaid present entitlements, this is one of a series of deep-dive articles on that guidance.
Sladen Snippet - AAT agrees gain on complex share exchange transaction was revenue in nature
The question of when a taxpayer holds shares or any other investment on capital account or revenue account is fundamental in determining whether gains from the investment are capital in nature or ordinary income.
Draft Taxation Determination TD 2022/D1: much ado about nothing or a seismic shift?
After our semi-serious opening statement on the Australian Taxation Office’s (ATO) recently released guidance on section 100A and unpaid present entitlements, this is one of a series of deep-dive articles on that guidance. These articles look at each of the ATO guidance products separately and then we discuss what the overall impact may be.
Draft Taxation Ruling 2022/D1: Do people still listen to disco music?
After our semi-serious opening statement on the Australian Taxation Office’s (ATO) recently released guidance on section 100A and unpaid present entitlements, this is one of a series of deep-dive articles on that guidance. These articles look at each of the ATO guidance products separately and then we discuss what the overall impact may be.
Sladen Snippet - Launch date for the .au namespace!
Every destination on the Internet – whether it be a news site, blog, online store or business portal – has a unique address, and that address falls under a domain name.
Sladen Snippet - ATO draft guidance on deductibility of expenses in establishing employee share schemes
Amongst all the furore about the Australian Taxation Office’s (ATO) draft guidance on section 100A, on 23 February 2022, the ATO also issued draft guidance on determining when expenses incurred in establishing and administering an employee share scheme (ESS) are deductible.
A Guide To Understanding Land Tax: Part 1 Overview of Land Tax
What is land tax
Land tax is a state and territory tax. It is an annual tax that is levied by the state authorities of each state and territory based on the total taxable value of land held in the particular jurisdiction.
Draft ATO guidance on 100A and UPEs: is everything awesome?
After six years the ATO has released draft guidance on section 100A. Keeping with the draft theme, the ATO also released (updated) draft views on when an unpaid present entitlement held on sub-trust becomes financial accommodation for purposes of Division 7A.
VCAT finds the sub-sale double duty provisions are triggered due to land development
The Victorian Civil and Administrative Tribunal’s (VCAT) decision in Hartman v Commissioner of State Revenue (Review and Regulation) [2022] VCAT 28 (Hartman Case) is a rare decision on the application of the sub-sale “double duty” provisions in the Duties Act 2000 (Vic) (Act).
Sladen Snippet - Electronic Execution of Company Documents Now Permanent
The Corporations Amendment (Meetings and Documents) Bill 2021 (Bill) passed the Senate on Thursday 10 February 2022.
Tribunal decision shows the difficulty of satisfying the primary production land tax exemption for farm land that is leased
The primary production land tax exemption remains an important concession for farmers and the owners of farm land. The Civil and Administrative Tribunal of New South Wales has added to the list of recent land tax cases offering insight into the application of the primary production land tax exemption.
Fixed trusts and NALI
In addition to the “general” non-arm’s length income provisions, special rules apply to distributions from a trust to a complying superannuation fund.
A Guide To Understanding Land Tax: Part 2 Land held on Trust
What is land tax
Land tax is a state and territory tax. It is an annual tax that is levied by the state authorities of each state and territory based on the total taxable value of land held in the particular jurisdiction.