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Taxation of financial arrangements

Last updated 11 February 2019

31 Taxation of financial arrangements (TOFA)

The key provisions of the TOFA rules are found in Division 230 of the ITAA 1997, which generally provides for:

  • methods of taking into account gains and losses from financial arrangements, being accruals and realisation, fair value, foreign exchange retranslation, hedging, reliance on financial reports and balancing adjustment, and
  • the time at which the gains and losses from financial arrangements will be brought to account.

The TOFA rules apply to the following partnerships:

  • authorised deposit-taking institutions, securitisation vehicles and financial sector entities with an aggregated annual turnover of $20 million or more
  • managed investment schemes, or entities with a similar status under foreign law relating to corporate regulation with assets of $100 million or more
  • any other partnership which satisfies one or more of the following    
    • an aggregated turnover of $100 million or more
    • assets of $300 million or more
    • financial assets of $100 million or more.
     

An entity that does not meet these requirements can elect to have the TOFA rules apply to it.

The aggregated turnover tests may mean that the TOFA rules will apply to partnerships that do not meet the thresholds in their own right. Aggregated turnover includes the annual turnover of any entity a partnership is connected with, or any affiliate of the partnership (including overseas entities).

Once the TOFA rules apply to a partnership, they will continue to apply to that partnership, even if its aggregated turnover, value of assets or value of financial assets subsequently falls below the requisite threshold.

There are a number of elections available to partnerships under the TOFA rules. Elections under the TOFA rules are irrevocable, and should be carefully considered before being made.

See also:

M – Total TOFA gains

Show at M the partnership’s total assessable TOFA gains from financial arrangements.

N – Total TOFA losses

Show at N the partnership's total deductible TOFA losses from financial arrangements.

Ensure you take into account at M and N any amount for a TOFA financial arrangement that you have shown elsewhere such as:

  • S Net income or loss from business item 5
  • AZSBR or T Partnerships and trusts item 8
  • G Interest deductions item 9
  • J Gross interest item 11
  • K Unfranked dividend amount item 12
  • O Other Australian income item 14
  • Q Other deductions item 18
  • B Gross other assessable foreign source income item 23.

QC51259