- the recent release of taxation ruling TR 2010/8 and draft practice statement PS LA 2843 in respect of the Commissioner's discretion in section 109RB
- the introduction of Sub-division EB which extends the operation of Division 7A
- the release of taxation ruling TR 2010/3 and practice statement PS LA 2010/4 which relates to trusts and unpaid present entitlements of companies.
This event provided tax advisers with a practical analysis of these significant developments to the operation of Division 7A including providing insight into the operation of section 109RB, the practical considerations and implications of the recent ATO position in respect of trusts and unpaid present entitlements in favour of companies and finally alternative structuring options that may be available such that the relevance of Division 7A is significantly reduced.