ATO Interpretative Decision
ATO ID 2004/600
Income Tax
Exchange rate to be used when calculating the cost of contributions to a foreign life policyFOI status: may be released
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This ATOID provides you with the following level of protection:
If you reasonably apply this decision in good faith to your own circumstances (which are not materially different from those described in the decision), and the decision is later found to be incorrect you will not be liable to pay any penalty or interest. However, you will be required to pay any underpaid tax (or repay any over-claimed credit, grant or benefit), provided the time limits under the law allow it. If you do intend to apply this decision to your own circumstances, you will need to ensure that the relevant provisions referred to in the decision have not been amended or repealed. You may wish to obtain further advice from the Tax Office or from a professional adviser.
Issue
What exchange rate is used to calculate the cost of contributions to a foreign life policy (FLP) for the purposes of paragraph 515(2)(a) of the Income Tax Assessment Act 1936 (ITAA 1936) when the contribution was not paid in Australian currency?
Decision
The rate to be used is the spot rate that applied on the day the contribution was made.
Facts
The taxpayer is a natural person and an Australian resident for tax purposes. The taxpayer took out a FLP when they were not an Australian resident and made contributions to the policy in foreign currency for the period they were not an Australian resident.
The policy is a FLP within the meaning of section 482 of the ITAA 1936 and the taxpayer's interest is an interest in the FLP within the meaning of subsection 483(3) of the ITAA 1936.
Reasons for Decision
Section 515 of the ITAA 1936 provides an exemption that applies to exclude a taxpayer from attributing income that would otherwise be assessable under the Foreign Investment Fund (FIF) rules contained in Part XI of the ITAA 1936. That exemption applies where the taxpayer is a natural person and the value of the taxpayer's (and any associates) interests in FIFs and FLPs is $50,000 or less.
Section 515 of the ITAA 1936 requires several conditions to be fulfilled before the exemption applies:
- (a)
- firstly, the taxpayer must be a natural person not acting in the capacity of a trustee,
- (b)
- secondly, the taxpayer must have an interest in a FIF or FLP at the end of a notional accounting period of the FIF or FLP.
Subsection 515(2) of the ITAA 1936 sets out what the value is at the end of the year of the relevant interests for the purposes of paragraph 515(1)(b). The value at the end of the year is the greater of:
- (a)
- the cost incurred by the person in acquiring the interest in the FIF or FLP, as the case may be, or
- (b)
- the market value of the interest in the FIF or of the FLP, as the case may be, at the end of the year of income.
Paragraph 515(2)(a) of the ITAA 1936 looks to the actual 'cost incurred' in acquiring the interest. In terms of a FLP, this would include the cost of contributions. If this payment was made in a currency other than Australian currency, this will need to be converted into Australian currency. The conversion rate to be used is the spot rate that applied on the day the payment was made.
Note that by reason of paragraph 960-50(10)(d) of the Income Tax Assessment Act 1997, the conversion rules contained in section 960-50 do not apply to Part XI of the ITAA 1936.
Date of decision: 18 May 2004Year of income: Year ended 30 June 2003
Legislative References:
Income Tax Assessment Act 1936
section 482
section 515
section 960-50
paragraph 960-50(10)(d)
Related Public Rulings (including Determinations)
Taxation Ruling TR 2004/3
ATO ID 2002/893
Other References:
Foreign Investments Fund Guide 2002 NAT 2130 Chapter 5
Keywords
Foreign investment funds
Foreign life assurance policies
Life insurance policies
ISSN: 1445-2782
| Date: | Version: | |
| You are here | 18 May 2004 | Original statement |
| 4 March 2011 | Archived |