ATO Interpretative Decision
ATO ID 2007/212 (Withdrawn)
Superannuation
Transitional redundancy paymentsFOI status: may be released
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This ATO ID is withdrawn from the database as it contains a view in respect of a provision of the Income Tax (Transitional Provisions) Act 1997 that does not apply after the 2011-12 income year. Despite its withdrawal, this ATO ID continues to be a precedential ATO view in respect of decisions from the 2007-08 income year, up to, and including, the 2011-12 income year.This document incorporates revisions made since original publication. View its history and amending notices, if applicable.
Status of this decision: Decision withdrawn 23 November 2018.
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you will need to ensure that the relevant provisions referred to in the decision have not been amended or repealed.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
Is an amount in excess of the tax free amount of a genuine redundancy payment a transitional termination payment, where the payment is made under an agreement that was in force just before 10 May 2006 and the payment is made before 1 July 2012?
Decision
Yes, an amount in excess of the tax free amount of a genuine redundancy payment is a transitional termination payment, where the payment is made under an agreement that was in force just before 10 May 2006 and the payment is made before 1 July 2012.
Facts
An employee receives a genuine redundancy payment before 1 July 2012, of which part is in excess of the tax free amount.
The payment is received within 12 months of the termination.
Entitlement to the payment arises under an Enterprise Agreement (agreement) that was in force just before 10 May 2006.
The agreement specifies the amount of the payment to be made in the event of a person's redundancy.
Reasons for Decision
Section 82-10 of the Income Tax (Transitional Provisions) Act 1997 (ITTPA 1997) provides that a life benefit termination payment received on or after 1 July 2007 is a transitional termination payment in the following circumstances:
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- the payment is received by a person because the person is entitled to it under a written contract, a law of the Commonwealth, a State, a Territory or another country, an instrument under such a law or a workplace agreement within the meaning of the Workplace Relations Act 1996;
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- the entitlement is provided for under that contract, law, instrument or agreement as in force just before 10 May 2006;
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- the payment is received before 1 July 2012; and
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- the contract, law or agreement as in force just before 10 May 2006 specifies the amount of the payment or a way to work out a specific amount of the payment.
The term 'life benefit termination payment' is defined in subsection 82-130(2) of the Income Tax Assessment Act 1997 (ITAA 1997) to mean an employment termination payment that is received in consequence of the termination of your employment and:
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- is received no later than 12 months after the termination; and
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- is not a payment mentioned in section 82-135 of the ITAA 1997.
Section 82-135 of the ITAA 1997 lists payments that are not employment termination payments. Paragraph 82-135(e) of the ITAA 1997 provides that the part of a genuine redundancy payment worked out under section 83-170 of the ITAA 1997 is not an employment termination payment.
Section 83-170 of the ITAA 1997 prescribes the methodology to be applied to determine the tax free amount of a genuine redundancy payment. In this case, the total amount of the payment exceeds the tax free amount of the genuine redundancy payment. Consequently, paragraph 82-135(e) of the ITAA 1997 does not apply to the amount of a genuine redundancy payment that exceeds the tax free amount and is a life benefit termination payment where the remaining requirements of subsection 82-130(2) of the ITAA 1997 are met.
As the amount in excess of the tax free amount of a genuine redundancy payment was made in consequence of the termination of the employee's employment, was received within 12 months of the termination and is not, but for the application of section 83-170 of the ITAA 1997, a payment to which section 82-135 of the ITAA 1997 applies, it is a life benefit termination payment for the purposes of section 82-130 of the ITAA 1997.
However, the payment also meets all of the requirements under section 83-175 of the ITAA 1997 and, hence, the payment also qualifies as a genuine redundancy payment.
In this case, the total amount of the payment exceeds the tax free amount of the genuine redundancy payment. Consequently, as paragraph 82-135(e) of the ITAA 1997 does not apply to the amount of a genuine redundancy payment that exceeds the tax free amount and, as the original payment is characterised as a life benefit termination payment, the excess amount is considered to be the remaining amount of that original life benefit termination payment.
As the original life benefit termination payment meets all of the relevant requirements of section 82-10 of the ITTPA 1997, including that the original payment amount was specified in the agreement, the remaining amount of the original termination payment qualifies as a transitional termination payment.
Date of decision: 20 November 2007Year of income: Year ended 30 June 2008 Year ended 30 June 2009 Year ended 30 June 2010 Year ended 30 June 2011 Year ended 30 June 2012
Legislative References:
Income Tax Assessment Act 1997
section 82-130
paragraph 82-135(e)
section 83-170
section 83-175
subsection 82-10(1)
subsection 82-10(3)
Keywords
Bona fide redundancy payments
Employment & industrial relations
Employment termination
Income
Redundancy & retrenchment
Date reviewed: 27 November 2014
ISSN: 1445-2782
| Date: | Version: | |
| 20 November 2007 | Original statement | |
| You are here → | 23 November 2018 | Archived |
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