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Edited version of your private ruling

Authorisation Number: 1012126976772

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Subject: GST and medical aids and appliances

Question

Is GST payable on the supply of the Z chair range of products?

Answer

Yes.

This ruling applies for the following period

The scheme commenced on

Relevant facts

You sell a range of chairs (the product).

The product has the widest range of adjustment and can adapt to the majority of spinal considerations that appear in the population.

The product exhibits the following design characteristics:

The product is designed to help people who sit for long periods of time and to prevent the injuries that are well documented and caused by this process.

Generally anyone sitting in the workplace either commercially or home office would purchase the product. The product can be purchased directly from you or through selected distribution points in the country. Your website lists a number of office furniture retailers as distributors of the product.

You provided the following information about the product:

Relevant legislative provisions

A New Tax System (Goods and Services Tax) Act 1999 Section 9-5

A New Tax System (Goods and Services Tax) Act 1999 Section 38-45

A New Tax System (Goods and Services Tax) Act 1999 Schedule 3

A New Tax System (Goods and Services Tax) Regulations 1999 Schedule 3

Reasons for decision

Summary

GST is payable on the supply of the Z chair range of products.

Detailed reasoning

GST is payable on any taxable supply that you make.

Section 9-5 of the A New Tax System (Goods and Services Tax) Act 1999 (GST Act) sets out the requirements of a taxable supply and it states:

(* denotes a term defined in section 195-1 of the GST Act.)

In your case, you satisfy the requirements of paragraphs 9-5(a) to 9-5(d) of the GST Act as:

The supply of the product is not input taxed under the GST Act or under any other Act. Therefore, what is left to determine is whether the supply is GST-free.

Section 38-45(1) of the GST Act lists GST-free medical aid or appliances. Subsection 38-45(1) states:

Item 16 in the table in Schedule 3 to the Regulations (Item 16) specifies 'postural support seating'. Postural support seating as listed in Item 16 needs to be a specific type of seating possessing characteristics that satisfies both the description of the item and the use requirement of paragraph 38-45(1)(b) of the GST Act.

The phrase 'postural support seating' is not defined in the GST Act.

Generally, where a phrase is not defined in the relevant Act, it is usually interpreted in accordance with its ordinary meaning, unless it has a special or technical meaning. Where a phrase has a special or technical meaning, it is necessary to determine its meaning by reference to the industry to which that phrase relates (Herbert Adams Pty Ltd v FCT (1932) 47 CLR 222).

In consultation with the Health Industry, it is considered that for the purposes of Item 16 and to be a thing that is specifically designed for people with an illness or disability, 'postural support seating' should be:

Furthermore, to be GST-free they must not be widely used by people without an illness or disability.

Factors taken into account in determining whether a medical aid or appliance is not widely used by people without an illness or disability are discussed in the GST Pharmaceutical Health Forum Issues Register. Issue number 1.d states:

You advised that the product has the widest range of adjustment and can adapt to the majority of spinal considerations that appear in the population. It is marketed as a product which improves health and posture as it supports the pelvic and lower spine to minimise muscle stress and strain.

While the product's design characteristics are similar to the items listed in Item 16 at paragraph (iii), the product does not meet the requirement of being specifically designed for people with an illness or disability. As such the product does not satisfy the requirements of postural support seating listed in Item 16.

Furthermore, the requirement that the product must not be widely used by people without an illness or disability is not satisfied because the product contemplates a wide use throughout a large number of persons and to a wide extent. The product is designed for common use and marketed for use by the wider community and not specifically for persons with an illness or disability. We consider that the product is of a type that is commonly referred to as an ergonomic chair, and its characteristics are preventative rather than of a kind regarded as a medical aid or appliance.

As such, the product is not a GST-free medical aid or appliance under subsection 38-45(1) of the GST Act.

The supply of the product is not GST-free under any other provision of the GST Act or any other Act. Therefore, as all the requirements of section 9-5 of the GST Act are met, you are making a taxable supply when you supply the product.


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