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Preview for Foreign Residents and CGT: FOREIGN RESIDENTS AND CGT: 1. Are they an Australian resident? 2. If not, there are special rules relating to capital gains/losses made by foreign residents. (Division 855 ITAA97) Foreign residents and capital gains tax: 1. Foreign residents only subject to CGT if the CGT event relates to CGT asset that is taxable Australian property (s 855-10(1)(b)) 2. Check if they re a share-trader/business of etc. - So it s general income. - Therefore, it will be Australian sourced income. Temporary residents: 1. Generally same basis as if they were foreign residents. (s 768-915). What is taxable Australian property? Three main forms of CGT assets that constitute taxable Australian property (s 855-15): 1. CGT assets that are taxable Australian real property. (s 855-15 item (1)) - This covers Australian land (s 855-20(a) and rights to mine minerals in Australia (s 855-20(b)). 2. CGT assets that are indirect Australian real property interests. (s 855-15 item (2)(a)) - This requires the individual to be a: o Non-portfolio membership interests (ie membership interests of at least 10% (eg they own at least 10% of the shares in the company); (s 855-25(1)(a)). and o the value of the entity s assets is principally (ie more than 50%) from Australian real property (s 855-25(1)). 3. This covers in an interposed entity (eg a company) where CGT assets that are used in carrying on a business through a PE in Australia. (855-15 item(3)) - This covers, for example, goodwill of a business carried on by a company through a branch in Australia, S 855-15(3), page 1210 4. Note: A right or option to acquire any of the above CGT assets is also taxable Australian property. (855-15 item(4)) Foreign resident capital gains withholding tax 1. A foreign resident capital gains withholding tax regime contained in Subdiv 14D in Sch 1 TAA operates from 1 July 2016 2. When will a withholding tax apply? - A withholding tax will apply if foreign resident disposes of: (s 14-200(1)(c)). o (i) taxable Australian real property, o (ii) an indirect Australian real property interest, or o (iii) an option or right to acquire such property or interest - Subject to exclusions (s 14-215(1)) 3. Exclusions:

Preview for companies What is a corporate tax entity? - A corporate tax entity is a company, corporate limited partnership or public trading trust (s 960-115 ITAA97). o (not a mutual life insurance company, or acting as a trustee, or in a partnership) (s 202-15) Corporate tax rate 1. Base rate entity tax rate: 27.5% (s 23(2)(a) - What is a base rate entity? o Carries on a business (s 23AA(a) ITRA); and o Depending on what year: For 2017/18: Aggregate turnover of an income year below prescribed threshold of $25m (s 23AA(b) ITRA). This is different for imputation purposes. For 2018/19 onwards: Aggregate turnover of an income year below prescribed threshold of $50m (s 23AA(b) ITRA). - What is aggregate turnover? o Combined annual turnover of the entity + its connected entities + affiliates for the income year (s 328-115) o What is annual turnover? Total ordinary income (excluding GST) the entity derives in the ordinary course of carrying on business (s 328-120) o What is a connected entity? If it controls the other entity or is controlled by the other entity, or under common control (s 328-125) o What is an affiliate? An individual or company which acts, or could reasonably be expected to act, in accordance with the entity s directions, or in concert with the entity (s 328-130). - Before 2017/18 income year, tax rate depended on whether they were an SBE o See page 539 if relevant. 2. All other companies pay tax at 30% (s 23(2)(b) ITRA). Capital returns 1. Capital returns are not a dividend, they are returning money. If there is a return of capital to a shareholder, gives rise to CGT implications: 2. If shares are cancelled/buyback? (s 104-25(3) - CGT event C2 applies - Shareholder is deemed to make a capital gain if the amount returned is more than the cost base of the shares o Deemed to make a loss if the amount returned is less than the reduced cost base of the shares (s 104-25(3)) - Disregarded if the shares were acquired before 20 September 1985 (s 104-25(5)) - Example o Facts: Shares acquired for $10 Capital return of $17 o Result: Capital gain of $7 ($17 - $10) 3. If shares are not cancelled - If shares are not cancelled, CGT event G1 applies

- Excluding any part of the payment that is a dividend, if amount returned is more than cost base, the share s cost base is reduced to nil and the excess amount is treated as a capital gain (s 104-135(3)) o Excluding any part of the payment that is a dividend, where the amount returned is not more than the cost base of the share, the share s cost base/reduced cost base is reduced by such an amount (s 104-135(4)) - Disregarded if shares were acquired before 20 September 1985 (s 104-135(5)) - Cannot index reduced cost base - Example: o Facts: Shares acquired for $100 Capital return of $70 (less than cost base), but did not cancel the shares Sold shares later for $50 o Result: Share s cost base = $30 Capital gain = $50 - $30 = $20

Preview for on-market share buy-back: Tax consequences for shareholder of an on-market purchase: What is it? - Buy-back undertaken in the ordinary course of trading on the stock exchange (s 159GZZZK(c)(ii)) Are there GST issues? - SBBs constituted input taxed financial supplies under s 40-50 GSTA, therefore: o NO GST is payable o No input tax credit entitlements Resident: if a mere investor, not a share trader: 1. Buyback will constitute the disposal of an asset for CGT purposes, causing CGT event A1 to occur (s 104-10) - To consider if a capital gain or loss has occurred under s 104-10(4), must determine the capital proceeds from the disposal of the shares. 2. Seller deemed to have received as consideration for the sale the purchase price paid for the shares (s 159GZZZS). - For the woolworths document, this would be the buy-back price - The purchase price does not include any dividend component, even if the company used profits to fund the purchase (s 159GZZZR). - As if you ve sold them to anyone else. 3. Discounting a capital gain: - Requirements: Must be a resident s (102-5) Must be made by an individual (s 115-10(a)), complying superannuation entity (s 115-10(b)) or trust (s 115-10(c)) NOT a company, but can be a small business owner Capital gain must be for a CGT event happening after 11:45am 21 September 1999 (s 115-15) Must not index the cost base (double benefit) (s 115-20) Must acquire asset 12 months before CGT event (s 115-25) - Discount percentage: Discount percentage is 50% (for individuals and trusts) and 33.3 for complying superannuation entities (s 115-100) Note: can only get discount capital gains on a gain, not a loss under s 102-5. Resident: share trader: 4. If they are a share trader, the amount received for the shares will be ordinary income under s 6-5. Non-resident mere investor: 1. Are not subject to CGT for assets that are not taxable Australian property - Unless the shares in the company conducting the buyback is taxable Australian property per s 855-15, non-residents will not be subject to CGT (s 855-10(1)(b)). - What is taxable Australian real property? o CGT assets that are indirect real property interests (s 855-15 item (2)(a)). This requires the individual to be a: Non-portfolio membership interests (ie membership interests of at least 10% (eg they own at least 10% of the shares in the company); (s 855-25(1)(a)). and

the value of the entity s assets is principally (ie more than 50%) from Australian real property (s 855-25(1)). - If it is taxable Australian property per s 855-15, then a withholding tax will apply under s 14-200(1)(c)(ii)) TAA. - The company conducting the buy-back must remit a withholding tax of 12.5% of the first element of the CGT cost base just after the acquisition (s 14-200(3)(a)(i). o First element is the amount paid to acquire the asset (s 110-25(2)) Non-resident share trader: 1. foreign residents are assessed on their ordinary income and statutory income from Australian sources (s 6-5(3)(a), s 6-10(5)(a) ITAA97). 2. Business income sourced from Australia.