State taxes Payroll tax Land tax

Blatant, artificial or contrived?

Source: South Australia

Published Date: 2 May 2013

 

The introduction in 2008 of provisions in the Land Tax Act giving the Commissioner power to disregard minority interests in land, and the more recent introduction of general anti-avoidance rules in the Taxation Administration Act, has left many clients exposed to land tax assessments on a multiple holding basis and has given rise to a feeling of uncertainty as to what structures can still be used to effectively maintain separate ownerships.

This presentation covers:

  • a brief overview of the relevant provisions in the Land Tax Act including the definition of “owner” and the operation of sections 13 and 13A
  • a brief overview of the new general anti-avoidance provisions including the meaning of “tax avoidance scheme” and “blatant, artificial or contrived”
  • examples of the types of ownership structures that are being investigated by Revenue SA
  • examples of situations in which Revenue SA has disregarded minority interests
  • examples of structures that remain effective to achieve a separate ownershipunder the Land Tax Act
  • a discussion of whether the general anti-avoidance rules could apply to deny the effectiveness of these structures.

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Author(s)

Individual Session

Blatant, artificial or contrived...?

Author(s): Briony Rice CTA

Details

  • Published By: Briony Rice CTA
  • Published On:2 May 2013
  • Took place at:Novatel Barossa Valley Resort

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State taxes Payroll tax Land tax 2013

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