TA 2004/8Use of the Going Concern provisions and the Margin Scheme to avoid or reduce the Goods and Services Tax (GST) on the sale of new residential premises
FOI status: may be released
Taxpayer Alerts are intended to be an \"early warning\" of significant new and emerging tax planning issues or arrangements that the ATO has under risk assessment.
Taxpayer Alerts will provide information that is in the interests of an open tax administration to taxpayers. Taxpayer Alerts are written principally for taxpayers and their advisers and they also serve to inform ATO officers of new and emerging tax planning issues.Not all potential tax planning issues that the ATO has under risk assessment will be the subject of a Taxpayer Alert, and some arrangements that are the subject of a Taxpayer Alert may on further examination be found not to be of concern to the ATO.
Taxpayer Alerts will give the title of the issue (which may be a scheme, arrangement or particular transaction), briefly describe the issue and will highlight the features which the ATO considers give rise to taxation issues. These issues will generally require more detailed analysis to provide an ATO view to taxpayers.
The developers and marketers of an arrangement which is the subject of a Taxpayer Alert should provide the full facts of the arrangement to the ATO to enable the ATO to finalise its view.
Taxpayers who have entered into or are contemplating entering into an arrangement similar to that described in this Taxpayer Alert can seek a formal determination of the ATO's position through a Private Ruling. Such taxpayers might obtain their own advice and/or contact the ATO officer named in the Alert.
This Taxpayer Alert is issued under the authority of the Commissioner.
This Taxpayer Alert describes an arrangement involving an entity which makes a sale of substantially completed residential units/houses to another entity as a GST-free going concern. The acquiring entity completes the residential units/houses and sells them as a taxable supply to third parties, paying GST only on the margin between this sale price and its acquisition cost, which is designed to set the price to reduce or eliminate the margin for GST.
The alert applies to arrangements that exhibit some or all of the following features:
- An entity owns or acquires land and substantially constructs, or arranges the substantial construction of, residential units/houses on the land.
- The entity sells the substantially completed residential units/houses to another entity, which may or may not be an associate, as a GST-free going concern.
- The acquiring entity completes, or arranges the completion of, the units/houses, and sells them as a taxable supply to third parties, applying the margin scheme to calculate the GST payable on those sales. GST is calculated only on the margin between the sale price to the third parties and the acquisition cost.
- Both entities claim input tax credits on the costs incurred in constructing the units/houses and/or the acquisition of the land.
FEATURES WHICH THE ATO CONSIDERS GIVE RISE TO TAXATION ISSUES
The ATO considers that the arrangements outlined above give rise to taxation issues that include whether the:
- supply of the substantially completed residential units/houses is the supply of a GST-free going concern; and
- anti-avoidance provisions of Division 165 of the A New Tax System (Goods and Services Tax) Act 1999 ('GST Act') apply, as the arrangements appear artificial and contrived in their design and execution.
The Australian Taxation Office is examining these arrangements.
Date of Issue: 7 April 2004
Date of Effect: 7 April 2004
Related Practice Statements:
PS LA 2008/15
input tax credit
new residential premises
Goods and Services Tax
GST Act Division 165
GST Act Subdivision 38-J
GST Act Division 72
GST Act Division 75
Related Taxpayer Alerts:
TA 2004/7 Authorised by:
Mr Kevin Fitzpatrick, First Assistant Commissioner
|Contact Officer:||Mr Walter Hadeed|
|Business Line:||Goods and Services Tax|
|Section:||ILEC - Aggressive Tax Planning Team|
|Phone:||(03) 9275 -4307|