Income Tax Assessment Act 1997

CHAPTER 2 - LIABILITY RULES OF GENERAL APPLICATION  

PART 2-5 - RULES ABOUT DEDUCTIBILITY OF PARTICULAR KINDS OF AMOUNTS  

Division 28 - Car expenses  

Subdivision 28-J - Situations where you cannot use, or do not need to use, one of the 2 methods  

Operative provisions

SECTION 28-185   Application of Subdivision 28-J to recipients and payers of certain withholding payments  


Application to recipients

28-185(1)    
If an individual receives, or is entitled to receive, * withholding payments covered by subsection (3), this Subdivision applies to him or her:


(a) in the same way as it applies to an employee; and


(b) as if an entity (a notional employer ) that makes (or is liable to make) such payments to him or her were his or her employer; and


(c) as if any other individual who receives, or is entitled to receive, such payments from a notional employer were also an employee of the notional employer.

Application to payers

28-185(2)    
This Division applies to an entity that makes, or is liable to make, * withholding payments covered by subsection (3):


(a) in the same way as it applies to an employer; and


(b) as if an individual to whom the entity makes (or is liable to make) such payments were the entity's employee.

Withholding payments covered

28-185(3)    


This subsection covers a * withholding payment covered by any of the provisions in Schedule 1 to the Taxation Administration Act 1953 listed in the table.


Withholding payments covered
Item Provision Subject matter
1 Section 12-35 Payment to employee
.
2 Section 12-40 Payment to company director
.
3 Section 12-45 Payment to office holder
.
3A Section 12-47 Payment to *religious practitioner
.
4 Section 12-50 Return to work payment
.
5 Subdivision 12-C Payments for retirement or because of termination of employment
.
6 Subdivision 12-D Benefit and compensation payments



View surrounding sectionsView surrounding sectionsBack to top


This information is provided by CCH Australia Limited Link opens in new window. View the disclaimer and notice of copyright.