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Edited version of your private ruling

Authorisation Number: 1012501589455

Ruling

Subject: Minimum income stream requirements

Questions

Answer

This ruling applies for the following periods:

Year ending 30 June 2013.

Year ending 30 June 2014

The scheme commences on:

1 July 2012

Relevant facts and circumstances

You are the trustee and member of a superannuation fund (the Fund).

The Fund is a self managed superannuation fund.

You are aged over 55 and under age 60.

You are retired and in receipt of an account based pension (the ABP) which commenced on 1 July 20XX. You are not in 'transition to retirement'.

The required minimum annual pension payment amount for the ABP for the relevant income year was $A representing Y% of the member account balance supporting the ABP.

The Fund made a single payment totalling $B in respect of the ABP for the relevant income year (the relevant year payment) and the payment was not rolled over.

The required minimum annual pension payment for the ABP for the subsequent income year is X% of the member account balance supporting the ABP.

In telephone discussion following our request for further information, you advised the following additional information in respect of the ABP:

Relevant legislative provisions

Income Tax Assessment Regulations 1997 - Regulations 995-1.01 and 995-1.03

Income Tax Assessment Act 1997 - Section 307-65.

Superannuation Industry (Supervision) Act 1993

Superannuation Industry (Supervision) Regulations 1994 - Regulations 1.06(9A) and subregulation 1.06(1)

Reasons for decision

Summary

The relevant year single payment of $B made in respect of your account based pension, for which you made an election under regulation 995-1.03 of the Income Tax Regulations 1997 (ITAR 1997, before the payment was made) is a superannuation lump sum for income tax purposes for the relevant income year.

On the basis of the information provided, the subsequent year payment will be considered a superannuation lump sum for income tax purposes for the subsequent year income year provided the following applies to the payment:

· the ABP has not ceased before the payment is made and does not cease at any time during the subsequent income year because of a breach of the SISR pension rules; and

· the subsequent year payment is the only payment made in respect of the ABP and will not be rolled over; and

· you also make an election in accordance with regulation 995-1.03 of the ITAR 1997 before the payment is made that the payment is not to be treated as a superannuation income stream benefit.

Detailed reasoning

The term superannuation income stream is defined in regulation 995-1.01 of the Income Tax Regulations 1997 (ITAR 1997) and relevantly for this ruling means an income stream that is taken to be a pension for the purposes of the Superannuation Industry (Supervision) Act 1993 (SIS Act) in accordance with subregulation 1.06(1) of the Superannuation Industry (Supervision) Regulations 1994 (SISR 1994).

A pension that satisfies subregulation 1.06(1) and paragraph 1.6(9A)(a) of the SISR 1994 is referred to as an account based pension. Subregulation 1.06(9A) of the SISR 1994 requires that the payment of an account based pension must occur at least annually.

Paragraph 1.06(9A)(a) requires that the total amount paid in any year must meet a minimum amount as calculated under clause 1 of Schedule 7 to the SISR 1994.

The term superannuation income stream benefit is also defined in regulation 995-1.01 of the ITAR and relevantly for this ruling means a payment from an interest that supports a superannuation income stream, other than a payment to which regulation 995-1.03 of the ITAR 1997 applies.

Taxation Ruling Income tax: when a superannuation income stream commences and ceases (TR 2013/5) provides the Commissioner's view of when a superannuation income stream commences and when it ceases, and consequently when a superannuation income stream is payable.

These concepts are relevant in determining the income tax consequences for both the superannuation fund and the member in relation to superannuation income stream benefits paid.

The relevant paragraphs of TR 2013/5 are as follows:

Superannuation income stream benefits and superannuation lump sums

You have advised that your fund deed and ABP rules mean your superannuation income stream meets the conditions of regulation 995-1.03 of the ITAR 1997 for an election to be made to treat a payment from the income stream as not being a superannuation income stream benefit.

An election under regulation 995-1.03 of the ITAR must be made before the making of a particular payment and the superannuation income stream must not have ceased before the relevant payment is made or must not cease in the income year because the requirements of the SISR 1994 (the minimum annual pension amount) have been breached.

From the information provided, your account based pension (ABP) commenced on 1 July 20ZZ and did not cease during the relevant income year. The payment of $B was the only payment (the single payment) made in respect of your ABP for the income year and you made an election (as permitted by the Fund rules) in accordance with the requirements of regulation 995-1.03 of the ITAR 1997 before the single payment was made that the payment was not to be treated as a superannuation income stream benefit.

Therefore, on the basis of the information provided, and in accordance with the Commissioner's view in TR 2013/5, the single payment for the relevant income year is a superannuation lump sum for income tax purposes (as defined in section 307-65 of the Income Tax Assessment Act 1997 (ITAA 1997)). As you have advised that the income stream did not cease in the relevant income year and the payment was not rolled over, the payment counts towards the minimum annual amount required to be paid under the SISR 1994 for the relevant income year.

The X% of the ABP account balance representing the subsequent year payment (single payment) in respect of your ABP will be considered a superannuation lump sum for income tax purposes and as you have advised the payment will not be rolled over, will also count towards the minimum annual amount required to be paid under the SISR for the subsequent income year, subject to the following conditions being met:


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