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This edited version has been archived due to the length of time since original publication. It should not be regarded as indicative of the ATO's current views. The law may have changed since original publication, and views in the edited version may also be affected by subsequent precedents and new approaches to the application of the law.

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Edited version of your private ruling

Authorisation Number: 1012595758575

Subject: creditable acquisition

Question 1

Is ABC Pty Ltd (ABC) entitled to claim the input tax credit on the payout of the lease on the destroyed equipment?

Answer

Yes, ABC is entitled to claim the input tax credits on the payout of the lease of the destroyed equipment.

Question 2

Is ABC able to claim an input tax credit for the payment of the remaining leases?

Answer

Yes, ABC is able to claim an input tax credit for the remaining leases.

Relevant facts and circumstances

Entities

Leases

· The other leases are similar, although they do contain different payment amounts.

· At the end of the lease term, it was the understanding of the parties that the equipment would be transferred to GHI at their residual values. However, the contracts did not actually stipulate this.

· The leases were all treated as taxable supplies by MNO, and as creditable acquisitions by ABC.

General Insurance Policy

· GHI took out a general insurance policy for each of the items of equipment as per the terms of the lease agreement. Both MNO and DEF were named as "The Insured" with MNO being the 'first loss payee'. This term is used to describe a common practice which serves to protect the interest of a lessor when there is finance on the insured goods.

· However, it was the understanding of the parties that DEF would be responsible for the insurance premiums and it would also be entitled to any insurance proceeds to pay out the leases. DEF has consequently claimed the payments as operating expenses.

· As per the informal agreement and the subsequent instruction of MNO to the insurer, DEF has received the amount of $XXX as insurance on the destroyed equipment. The amount of $XXX (GST exclusive) has been applied to pay out the lease commitments of GHI.

Life Insurance Policy

Relevant legislative provisions

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

Section 7-1

Section 9-5

Section 9-10

Section 11-5

Reasons for decision

Issue 1

Question 1

Summary

Yes, ABC is entitled to claim the input tax credits on the payout of the lease of the destroyed equipment.

Detailed reasoning

Section 7-1 of the GST Act provides that an entitlement to an input tax credit arises on creditable acquisitions that you make.

Section 11-5 of the GST Act defines a creditable acquisition. It states:

You make a creditable acquisition if:

(Items marked with an asterisk are defined in the Dictionary at section 195-1 of the GST Act).

GHI is grouped with ABC for GST purposes. ABC is the representative member.

Section 48-1 of the GST Act broadly provides that the representative member of the group then deals with all of the GST liabilities and entitlements of the group.

Creditable Purpose

The acquisition of the initial lease by ABC was for a creditable purpose. The remainder of the lease is paid out in full. Subsection 11-15(1) of the GST Act provides that you acquire a thing for a creditable purpose 'to the extent that you acquire it in carrying on your enterprise'.

The payout of the lease for the destroyed equipment was acquired in the carrying on of your enterprise as it was a contractual arrangement that you entered into and kept. Paragraph 11-5(a) of the GST Act has therefore been met.

Taxable supply to you

The supply of the lease to you by MNO is a taxable supply. Paragraph 11-5(b) of the GST Act is therefore met.

Consideration

You have advised that DEF received the amount of $712,500 as insurance on the destroyed equipment. The amount of $XXXXXX will be provided by DEF to MNO to pay out the lease commitment on the destroyed equipment. You have therefore provided consideration for the supply. Paragraph 11-5(c) of the GST Act has therefore been met.

Registration

The representative member of your GST group (ABC), is registered for GST. Paragraph 11-5(d) of the GST Act has therefore been met.

As all of the elements of section 11-5 of the GST Act have been met, you have made a creditable acquisition and can claim an input tax credit.

Question 2

Summary

Yes, ABC is able to claim an input tax credit for the other remaining leases.

Detailed Reasoning

ABC will be able to claim an input tax credit for the remaining leases.

Question 2

Summary

Yes, ABC is able to claim an input tax credit for the other remaining leases.

Detailed Reasoning

ABC will be able to claim an input tax credit for the remaining leases.

In respect of the remaining leases we are satisfied that paragraphs 11-5(a), (b) and (d) of the GST Act have been met. That is, ABC acquired the leases for a creditable purpose, the supply of the leases to ABC by MNO was a taxable supply, and ABC is registered for GST.

The question is whether ABC has provided consideration or whether it was liable to pay consideration for the acquisition. As it was liable to pay consideration for the remaining leases paragraph 11-5(c) of the GST Act is satisfied.

In this particular case, though the funds from the insurance company were received by MNO it was nevertheless applied towards ABC liability for the remainder of the remaining leases.

Therefore, all of the requirements of section 11-5 of the GST Act have been met, and ABC has made a creditable acquisition.


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