Business tax
Expansion of General Anti-Avoidance Rule start date deferred
The start date of the 2023-24 budget measure to expand the Part IVA of the Income Tax Assessment Act 1936 anti-avoidance rules is deferred from income years commencing on or after 1 July 2024 to income years commencing on or after Royal Assent of the amending legislation. It is proposed to expand the scope of the rule, to apply to:
- Schemes that reduced tax paid in Australia by accessing a lower withholding tax rate on income paid to foreign residents
- Schemes that achieve an Australian tax benefit even where the dominant purpose of the scheme was to reduce foreign income tax.
When the rules commence they will apply regardless of whether the scheme was entered into before that date.
Broadening of the CGT regime for foreign residents
The government will amend the foreign resident capital gains tax (CGT) regime to:
- Clarify and broaden the types of assets that foreign residents are subject to CGT on
- Amend the point-in-time principal asset test to a 365-day testing period.
Foreign residents disposing of shares and other membership interests exceeding $20 million in value will be required to notify the ATO, prior to the transaction being executed, to improve oversight and compliance.
The changes will apply to CGT events that occur on or after 1 July 2025.
This measure is targeted at ensuring that Australia can tax foreign residents on the sale of assets with a “close economic connection to Australian land”.
An expansion of the definition of taxable Australian property (TAP) may impact clients with economic interests in land which do not currently fall within the definition of TAP, such as profit a prendre and other economic rights derived from land.
The proposed amendment to the point-in-time principal asset test is an integrity measure to ensure that indirect interests remain TAP within a 365-day testing period.
The ATO notification prior to the transaction being executed may affect transaction timelines if the transaction is subject to detailed pre-deal ATO review.
It would be helpful if the ATO were to commit to a streamlined process and engagement timeline for such pre-deal ATO reviews to ensure deal certainty.
The measure is estimated to increase receipts by $600 million over the five years from 2023–24. Government will consult on the implementation details of the measure.
Small business
Small business instant asset write-off extended
The increase in the instant asset write-off threshold for small businesses, originally announced in the 2023-24 budget, will be extended by a year for small businesses with aggregated turnover of less than $10 million per annum.
A $20,000 threshold will now apply (on a per asset basis) for assets acquired and first used or installed ready for use for taxable purposes between 1 July
2023 and 30 June 2025.
The existing small business accelerated depreciation rules (which include the small business simplified depreciation pool) will continue to apply for assets costing more than $20,000.
We note the previous 2023-24 budget proposal to increase the write-off for 1 July 2023 to 30 June 2024 is currently in a bill before Parliament (Treasury Laws Amendment (Support for Small Business and Charities and Other Measures) Bill 2023). Amendments to the bill made in the Senate which would have extended the instant asset write-off concession to medium businesses with an aggregated turnover of less than $50 million per annum and increase the threshold to $30,000 per asset were not reflected in the 2024-25 budget announcement and were not subsequently agreed to by the House of Representatives.
Funding payment times reporting reform
The government is providing $25.3m over four years from 2024–25 to support the Payment Times Reporting Regulator to implement reforms recommended by the statutory review of the Payment Times Reporting Act 2020, which includes increased resourcing for the Regulator to deliver its expanded functions and upgrading their ICT infrastructure.