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Edited version of private ruling

Authorisation Number: 1011729299100

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Ruling

Subject: GST and the supply of accommodation in a retirement village

Question

Are you entitled to the concessions contained in section 38-260 of the GST Act with regard to your supply of accommodation?

Answer

No, you are not entitled to the concessions contained in section 38-260 of the GST Act with regard to your supply of accommodation?

Relevant facts

You began construction of a retirement village in 2007.

You are registered for GST and you are neither an endorsed charitable institution nor an endorsed trustee of a charitable fund.

The village contains 11 independent living units, and another 2 are under construction.

The units are supplied to residents under a 49 year lease agreement.

Your retirement village units meet the definition of residential premise contained in the GST Act.

Relevant legislative provisions

38-25 of A New Tax System (Goods and Services Tax )Act 1999 (GST Act)

38-260 of A New Tax System (Goods and Services Tax )Act 1999 (GST Act)

38-250 of A New Tax System (Goods and Services Tax )Act 1999

Reasons for decision

You have advised that you supply accommodation in residential premises in your Retirement Village. Therefore, your supplies will be input taxed as per section 40-35 of A New Tax System (Goods and Services Tax ) Act 1999 (GST Act) unless they are GST-free supplies of accommodation under other sections of the GST Act.

There are three relevant sections of the GST Act that deal with accommodation for the aged. They are 38-25, 38-250 and 38-260. Goods and Services Tax Ruling GSTR 2007/1 Goods and services tax: when retirement village premises include communal facilities for use by the residents of the premises (GSTR 2007/1) provides some background on these provisions at paragraphs 12 and 13.

In regards to section 38-25 of the GST Act, you do not supply the services that this section deals with and your retirement village is not an aged care facility and therefore this section is not applicable to your situation.

In regards to section 38 250 and 38-260 of the GST Act both of these sections require the entity applying the provisions to be one of the following:

In your case, you are not operating as an entity of the type listed above and do not have access to the status of these entities. Therefore, you cannot access these provisions.

As your supplies are residential accommodation as per section 40-35 of the GST Act and none of the GST-free provisions apply to your situation, your supplies of leased accommodation will be input taxed.


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