ATO Interpretative Decision
ATO ID 2004/540 (Withdrawn)
Excise
Diesel Fuel Rebate Scheme: marine transport - dredgingFOI status: may be released
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This ATO ID is withdrawn from the database because it contains a view in respect of the diesel fuel rebate provisions of the Excise Act 1901 and or the Customs Act 1901 that were repealed with effect from 1 July 2003. Despite its withdrawal from the database, this ATO ID continues to be a precedential view in respect of decisions for fuel purchased before 1 July 2003.This document incorporates revisions made since original publication. View its history and amending notices, if applicable.
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you will need to ensure that the relevant provisions referred to in the decision have not been amended or repealed.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
Are the operations of a dredge while dredging material from the bottom of a waterway, 'marine transport' as defined in subsection 164(7) of the Customs Act 1901 for the purposes of the diesel fuel rebate scheme?
Decision
No. The operations of a dredge while dredging material from the bottom of a waterway are not 'marine transport' as defined in subsection 164(7) of the Customs Act for the purposes of the diesel fuel rebate scheme.
Facts
An entity operates a dredge.
Once the dredge has arrived at the dredging site, it uses diesel fuel to:
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- operate dredging equipment on the dredge
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- propel the dredge while operating the dredging equipment in order to effectively dredge the dredging site, and
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- run non-dredging equipment on the dredge (for example, provision of electricity on the dredge).
Reasons for Decision
Subsection 78A(1) of the Excise Act 1901 and subsection 164(1) of the Customs Act provide that:
A rebate is, ... payable to a person who purchases diesel fuel for use by him: ...
(ac) in marine transport (otherwise than for the purpose of propelling a road vehicle on a public road) in the course of carrying on an enterprise; ...
'Marine transport' is defined for the purposes of both Acts in subsection 164(7) of the Customs Act as:
marine transport includes transport by vessels in or on fresh water, but does not include any transport relating to forestry.
In Re Port of Brisbane Corporation and Deputy Commissioner of Taxation [2004] AATA 222 (Port of Brisbane) the Administrative Appeals Tribunal (the Tribunal) considered the meaning of 'marine transport' for the purposes of the diesel fuel rebate scheme, particularly in regard to the activities of dredging vessels.
In Port of Brisbane, the Tribunal reasoned at paragraph 31 that:
... the phrase "use in ... marine transport" should be accorded its ordinary and natural meaning. In this context, the normal association of "marine" with the sea is extended by the definition of "marine transport" in s 164(7) to include freshwater. That same definition, which "includes transport by vessels in or on freshwater", while not an exhaustive definition because it is extending the ordinary meaning of "marine" to include an association not only with sea water but also with fresh water, nevertheless refers to transport by vessels.
And further at paragraph 32 that:
.... In the Tribunal's opinion, the key to the meaning of "marine transport" lies in the meaning of the word "transport". The Concise Macquarie Dictionary, 3rd ed, (1988) lists as the sixth meaning of transport:
The first meaning of transport in the Oxford English Dictionary is:
- 1. the action of carrying or conveying a thing or person from one place to another, conveyance.
The use of the word "transport" in the phrase "marine transport" suggests a conveyance - something which does the conveying - a vehicle or vessel or aircraft which moves through its particular medium (land, water, air) carrying a thing or person. The medium in this case is, of course, water. Thus, ..."marine transport" should in this instance be interpreted as meaning the act of conveying a thing...
The Tribunal then applied this definition of marine transport to conclude at paragraph 35 that:
... diesel used in powering dredging activities where there is no conveying by a vessel involved, is not used in marine transport so as to attract a fuel rebate.
In this instance, there is no conveyance by the dredge while it is involved in dredging activities. Even though the dredge is in motion while conducting dredging activities, such movement of the dredge forms a fundamental part of the dredging activities and cannot be said to involve the transportation of the dredged material away from the dredging site.
As the dredge is not engaged in marine transport, the use of diesel fuel to run non-dredging equipment on the dredge whilst the dredge is engaged in dredging activities is not 'marine transport'.
Accordingly, the operations of a dredge while dredging material from the bottom of a waterway are not 'marine transport' as defined in subsection 164(7) of the Customs Act for the purposes of the diesel fuel rebate scheme.
Date of decision: 21 April 2004
Legislative References:
Excise Act 1901
subsection 78A(1)
paragraph 78A(1)(ac)
subsection 164(1)
subsection 164(7)
paragraph 164(1)(ac)
Case References:
Re Port of Brisbane Corporation and Deputy Commissioner of Taxation
[2004] AATA 222
55 ATR 1029
ATO ID 2002/643
Keywords
DFRS marine
Diesel fuel rebate scheme
Excise
Excise payments
ISSN: 1445-2782
| Date: | Version: | |
| 21 April 2004 | Original statement | |
| You are here | 8 January 2010 | Archived |