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Edited version of private ruling

Authorisation Number: 1011727133914

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Ruling

Subject: Employee Share Scheme

Question 1

Will the contributions of monies by the employer to the trustee pursuant to the trust deed be included in the calculation of the net income of the trust estate under section 95 of the Income Tax Assessment Act 1936 (ITAA 1936)?

No

Question 2

Will the loans of monies by the employer to the trustee pursuant to the trust deed be included in the calculation of the net income of the trust estate under section 95 of the ITAA 1936?

No

Question 3

Will dividends and other income received by the trustee be included in the calculation of the net income of the trust estate under section 95 of the ITAA 1936?

Yes

Question 4

Will any part of the net income of the trust estate to which no beneficiary is presently entitled be assessed to the trustee pursuant to section 99A of the ITAA 1936?

Yes

Question 5

To the extent that the net income of the trust estate does not include proceeds received on the disposal of investments as ordinary income of the trust estate:

Question 6

Will the cancellation of the employees share units constitute an acquisition of the cancelled share units by the trustee under section 109-5 of the ITAA 1997?

No

Question 7

Will the general anti-avoidance provisions under section 67 of the Fringe Benefits Tax Assessment Act 1986 (FBTAA) apply to the scheme described?

No

Question 8

Will the general anti-avoidance provisions under Part IVA of the ITAA 1936 apply to the scheme described?

No

This ruling applies for the following periods:

Year ended 30 June 2012

Year ended 30 June 2013

Year ended 30 June 2014

Year ended 30 June 2015

Year ended 30 June 2016

The scheme that is the subject of the ruling:

The employer intends to establish a plan for the purpose of providing a long term equity incentive structure to deliver based benefits to key employees of the employer.

Relevant legislative provisions

Income Tax Assessment Act 1936 Section 44

Income Tax Assessment Act 1936 Section 95

Income Tax Assessment Act 1936 Section 97

Income Tax Assessment Act 1936 Section 99A

Income Tax Assessment Act 1936 Part IVA

Income Tax Assessment Act 1997 Division 102

Income Tax Assessment Act 1997 Division 104

Income Tax Assessment Act 1997 Division 109

Income Tax Assessment Act 1997 Division 115

Fringe Benefits Tax Assessment Act 1986 Section 67

Reasons for decision

1. Will the contributions of monies by the employer to the trustee pursuant to the trust deed be included in the calculation of the net income of the trust estate under section 95 of the ITAA 1936?

2. Will the loans of monies by the employer to the trustee pursuant to the trust deed be included in the calculation of the net income of the trust estate under section 95 of the ITAA 1936?

3. Will dividends and other income received by the trustee be included in the calculation of the net income of the trust estate under section 95 of the ITAA 1936?

4. Will any part of the net income of the trust estate to which no beneficiary is presently entitled be assessed to the trustee pursuant to section 99A of the ITAA 1936?

5. To the extent that the net income of the trust estate does not include proceeds received on the disposal of investments as ordinary income of the trust estate:

6. Will the cancellation of the employees's share units constitute an acquisition of the cancelled share units by the trustee under section 109-5 of the ITAA 1997?

7. Will the general anti-avoidance provisions under section 67 of the FBTAA apply to the scheme described?

8. Will the general anti-avoidance provisions under Part IVA of the ITAA 1936 apply to the scheme described?


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