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Edited version of your written advice

Authorisation Number: 1012735348746

Ruling

Subject: Expenses - interest deductibility

Question

Where you do not reduce your loan proportionately by the percentage of your portfolio you have sold, are you entitled to a deduction for all of the interest you incur on that loan?

Answer: No.

This ruling applies for the following period:

Year ended 30 June 2015

The scheme commences on:

1 July 2014

Relevant facts and circumstances

You have borrowed funds to purchase a portfolio of shares and managed funds.

The value of your portfolio has increased.

The outstanding balance of your loan remains unchanged.

You will dispose of part of your portfolio to reduce its total value to approximately its original value. The disposal will be subject to capital gains tax.

You will not make any repayment to the loan used to acquire the portfolio.

Relevant legislative provisions

Income Tax Assessment Act 1997 Section 8-1.

Reasons for decision

Section 8-1 of the Income Tax Assessment Act 1997 allows you a deduction for any loss or outgoing that is incurred in gaining or producing your assessable income, to the extent that it is not of a private, capital or domestic nature.

Whether interest has been incurred in the course of gaining or producing assessable income generally depends on the purpose of the borrowing and the use to which the borrowed funds are put.

Where a borrowing is used to acquire an income producing asset, or relates to expenses of an income producing activity, the interest on this borrowing is considered to be incurred in the course of gaining or producing assessable income.

Taxation Ruling TR 2000/2 discusses the deductibility of interest on money drawn down under line of credit facilities and redraw facilities. It states that where money borrowed and applied to a particular use is recouped, for example, on the sale of an asset purchased with borrowed funds, that part of the outstanding balance of the mixed purpose debt can no longer be regarded as applied to that use.

In these situations, the fundamental consideration is the income producing asset that is sold, not the value of the loan or the profit that has been made.

An example contained in TR 2000/2 explains this further:

In the example, Bob has sold half of his shares. Therefore, half of his income producing loan ($10,000) has been reduced by the sale. With the remaining $1,000 profit apportioned between the two income producing and non-income producing portions of the loan.

In your case, you have been redrawing funds from the equity in your home to purchase shares and managed funds. Over the years, you have made a profit on your investment portfolio. You wish to take this profit and place it into a family trust, without repaying any of your loan amount.

Reducing your portfolio balance back down to the original loan amount will not retain its full deductibility. As you have sold a portion of your investment portfolio, the deduction available on your loan amount will need to apportion to reflect the sold investments, even if you do not reduce the original loan amount. This is because you no longer hold 100% of your investment portfolio.

That is, if you sell 25% of your investment portfolio, you will only be entitled to a deduction for 75% of the loan amount.


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