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Ruling

Subject: GST and supply of a going concern

Question

Will the proposed supply of the Property be a GST-free supply of a going concern under subdivision 38-J of the A New Tax System (Goods and Services Tax) Act 1999 (GST Act)?

Answer

Yes, the proposed supply of the Property will be a GST-free supply of a going concern under subdivision 38-J of the GST Act.

Relevant facts and circumstances

Relevant legislative provisions

A New Tax System (Goods and Services Tax) Act 1999 section 9-20.

A New Tax System (Goods and Services Tax) Act 1999 section 38-325.

A New Tax System (Goods and Services Tax) Act 1999 section 195-1.

Reasons for decision

A supply of a going concern is GST-free where it meets the requirements specified in subdivision 38-J of the GST Act.

Subsection 38-325(1) of the GST Act provides that a 'supply of a going concern' is GST-free if:

The term 'supply of a going concern' is defined in subsection 38-325(2) of the GST Act. Subsection 38-325(2) of the GST Act provides that:

*The asterisked terms are defined in section 195-1 of the GST Act.

Goods and Services Tax Ruling, Goods and services tax: when is a supply of a going concern GST-free? (GSTR 2002/5) provides the Commissioner's view on GST-free supplies of going concerns.

Paragraph 29 of GSTR 2002/5 explains that subsection 38-325(2) of the GST Act requires the identification of an enterprise that is being carried on by the supplier (the 'identified enterprise').

Paragraphs 38-325(2)(a) and (b) of the GST Act set out the conditions that must be satisfied in relation to an identified enterprise. An enterprise is defined under section 9-20 of the GST Act to include an activity, or series of activities, done on a regular or continuous basis, in the form of a lease, licence or other grant of an interest in property.

In this case, the contract provides a list of the tenancies in place. We have also been advised that the Vendor has previously leased areas of the Property to its parent company under informal leasing arrangements for no consideration. The parties have now entered into formal leases for payment of rent to the Vendor. Therefore, the vendor has been operating a leasing enterprise prior to selling the Property.

The 'identified enterprise' is a leasing enterprise. It is this leasing enterprise that the Vendor will need to carry on until the day of the supply and for which the Vendor must supply all of the things that are necessary for its continued operation in order to satisfy the requirements of subsection 38-325(2) of the GST Act.

The things that are necessary will depend on the nature of the enterprise carried on and the core attributes of that enterprise. GSTR 2002/5 considers the meaning of the phrase 'all of the things that are necessary for the continued operation of an enterprise'. In particular, paragraphs 74 and 75 of GSTR 2002/5 state:

Further, paragraph 80 of GSTR 2002/5 states:

All of the things that are necessary for the continued operation of a leasing enterprise include the supply of the property and the covenants. Therefore, for the continued operation of the Vendor's leasing enterprise, it will be necessary to supply the land and building with all the leasing covenants.

In this case, at the time of settlement, the lessee will remain in occupation of the land. All the Vendor's rights and obligations under the various lease agreements will be transferred to the Purchaser at settlement, including the right to the rent payments after settlement. The Contract provides that the Purchaser is entitled to the rent and all other money payable to the Vendor under the tenancies and the leases.

Under such circumstances, the Vendor will be conducting an enterprise of leasing the Property up to the day of the supply. As all the Vendor's rights and obligations under the lease agreement will be transferred to the Purchaser at settlement, the Purchaser will be put in a position to carry on the leasing enterprise from the date of settlement, if it so chooses.

As such, the Vendor will be supplying all the things that are necessary for the continued operation of the leasing enterprise when the Vendor supplies the Property to the Purchaser subject to the tenancies and leases. Consequently, the supply of the Property will constitute a supply of a going concern as the requirements of subsection 38-325(2) of the GST Act will be satisfied. 

From the information provided, the requirements of subsection 38-325(1) of the GST Act will also be satisfied. Therefore, the supply of the Property with the tenancies and leases in place will be a GST-free supply of a going concern under section 38-325 of the GST Act.


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