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Draft Taxation Ruling TR 2009/D8 – Sense or nonsense?
Published on 11 Feb 10 by WESTERN AUSTRALIAN DIVISION, THE TAX INSTITUTE
This paper covers:
- the Conventional Operation of Division 7A
- dealing with later dividends
- interposed entities
- discretion to disregard operation of Division 7A
- the life style asset amendments
- the provenance of Subdivision EA
- The operation of Subdivision EA
- loan agreements and Subdivision EA
- what the draft Ruling Says
- timing - date of effect
- accepting the Ruling - going forward
- UPEs of earlier years
- Section 109RB application
- timing
- financial accommodation
- in-substance a loan
- the examples as part of the Ruling
- comment on Examples
- paying the dividend out
- Section 109ZG
- net Income in Subdivision EA
- Section 100A
- what is left for Subdivision EA?