ATO Interpretative Decision
ATO ID 2002/710 (Withdrawn)
Goods and Services Tax
GST and increasing adjustment for the purchase of a block of residential flats with leases intact as a going concernFOI status: may be released
-
This ATO ID is withdrawn as the current ATO position on this issue is contained in GSTR 2002/5.This document incorporates revisions made since original publication.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you will need to ensure that the relevant provisions referred to in the decision have not been amended or repealed.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
Does the entity, a recipient that purchases a block of residential flats with leases intact as a GST-free supply of a going concern, have an increasing adjustment under Division 135 of the A New Tax System (Goods and Services Tax) Act 1999 (GST Act), when it intends to lease those residential flats after settlement?
Decision
Yes, the entity has an increasing adjustment under Division 135 of the GST Act, when it intends to lease those residential flats after settlement.
Facts
The entity is a recipient that purchases a block of residential flats, with leases intact, as a GST-free supply of a going concern under section 38-325 of the GST Act. The entity intends to continue to lease those residential flats after settlement.
The entity is registered for goods and services tax (GST).
Reasons for Decision
Subsection 135-5(1) of the GST Act provides that an entity has an increasing adjustment where:
- (a)
- it is the recipient of a supply of a going concern; and
- (b)
- it intends that some or all of the supplies to be made through the enterprise to which the supply relates will be supplies that are neither taxable supplies nor GST-free supplies.
The entity purchases a block of residential flats, with leases intact, as a GST-free supply of a going concern under section 38-325 of the GST Act. Therefore, the entity is the recipient of a supply of a going concern and paragraph 135-5(1)(a) of the GST Act is satisfied.
The entity intends to continue to lease those residential flats after settlement. The lease of residential premises is an input taxed supply under section 40-35 of the GST Act. Therefore, the entity intends that all supplies made through the enterprise of leasing the residential flats, are supplies that are neither taxable supplies nor GST-free supplies and paragraph 135-5(1)(b) of the GST Act is satisfied.
Therefore, the entity has an increasing adjustment under Division 135 of the GST Act, when it intends to lease those residential flats after settlement.
1/10 x supply price x proportion of non-creditable use
supply price means the price of the supply in relation to which the increasing adjustment arises
proportion of non-creditable use is the proportion of all the supplies made through the enterprise that the entity intends will be supplies that are neither taxable supplies nor GST - free supplies, expressed as a percentage worked out on the basis of the price of those supplies
Legislative References:
A New Tax System (Goods and Services Tax) Act 1999
section 38-325
section 40-35
Division 135
subsection 135-5(1)
paragraph 135-5(1)(a)
paragraph 135-5(1)(b)
subsection 135-5(2)
Related Public Rulings (including Determinations)
Goods and Services Tax Ruling GSTR 2001/5
ATO ID 2002/709
Keywords
Goods and Services tax
GST-free
Supply of a going concern
Supply of residential premises
Input taxed supply
Increasing adjustment
ISSN: 1445-2782
| Date: | Version: | |
| 19 June 2002 | Original statement | |
| You are here | 19 March 2010 | Archived |
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