The most-talked about issue in private markets tax in the last two years has been section 100A. In late 2022, following the Federal Court decisions in Guardian AIT and BBlood, the ATO finalised Taxation Ruling TR 2022/4 and Practical Compliance Guideline PCG 2022/2 that set out its interpretation of section 100A and reimbursement agreements. In 2023, the Full Federal Court handed down its decision from an appeal in Guardian AIT and a decision on the appeal in BBlood is pending. Revisions to TR 2022/4 and PCG 2022/2 are in the works.
This session covers:
- the key legal principles established by Guardian AIT and BBlood with respect to section 100A, including what constitutes a ‘reimbursement agreement’, having a purpose of reducing tax and an ‘ordinary family or commercial dealing’
- Discuss the broader practical considerations relevant to practitioners managing trust arrangements
- Contemplate issues that may potentially attract the attention of the ATO; and
- Provide practical guidance on how taxpayers and their advisers can manage and mitigate their risk.