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This edited version has been archived due to the length of time since original publication.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: 1012602386138

Ruling

Subject: Am I in business as a share trader?

Question

Are you carrying on a business as a share trader?

Answer

Yes.

This ruling applies for the following periods:

Income year ended 30 June 2013

The scheme commences on:

1 July 2012

Relevant facts and circumstances

During the income year you made a number of share transactions, a summary of which follows:

Income year

20xx

No. of purchases

Around 50

No. of sales

Around 50

Total value of purchases

Approximately $15 million

Average purchase value

Approximately $400,000

Total value of sales

Approximately $15 million

Average value of sales

Approximately $400,000

Average holding period (days)

Less than 14 days

You have invested a substantial amount of capital in your share transactions, and have recently added a high value margin loan facility to support your activity.

You trade in only a few X and Y stocks.

You use an on-line broker for your trading.

You keep records of your share transactions.

Your public officer conducts you share trades on your behalf. Your public officer works full time as your employee, however has access to an office maintained specifically for conducting share transactions.

Relevant legislative provisions

Income Tax Assessment Act 1997, Section 6-5

Income Tax Assessment Act 1997, Section 8-1

Income Tax Assessment Act 1997, Section 102-5

Income Tax Assessment Act 1997, Section 102-10

Reasons for decision

There are two possible scenarios as to how gains and losses from share trading activities can be treated for income tax purposes. These scenarios and their consequences are as follows:

To determine which of these treatments applies to your situation it is necessary to make a determination of whether or not your share trading activities amount to the carrying on of a business.

Whether or not a person is carrying on a business is a question of fact, not a question of law. The determination of whether or not a business is being carried on is generally a process of weighing up all of the relevant indicators within the context of a given situation. No one indicator determines whether or not a business is being carried on.

Taxation Ruling TR 97/11 Income tax: am I carrying on a business of primary production? (TR 97/11) lists the following indicators as relevant in determining if a business is being carried on:

In the case of share trading repetition and regularity are considered to be important indicators on whether or not a business is being carried on, with the size and scale of the activity being supporting factors.

In your case you have carried out around 50 purchase transactions and around 50 sale transactions during the income year. This is a total of around 100 transactions, which is approximately two transactions per week. Your share holding period is on average less than two weeks.

The scale of your share trading activities is significant in that your share purchases amounted to approximately $15 million, while you sold shares to the value of approximately $15 million. This is a significant scale of trading and would be considered to be at a commercial level. These figures are considered to be beyond mere passive capital investment, and support that a business of share trading was carried on.

Your short holding periods, level of repetition and regularity as well as the scale of your transactions all support that you were carrying on a business as a share trader during the income year.

Your share purchases and sales would be considered to be business activities. Any profits or losses from your share investments would then be considered to be accounted for on revenue account.


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