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This edited version has been archived due to the length of time since original publication.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

You cannot rely on this record in your tax affairs. It is not binding and provides you with no protection (including from any underpaid tax, penalty or interest). In addition, this record is not an authority for the purposes of establishing a reasonably arguable position for you to apply to your own circumstances. For more information on the status of edited versions of private advice and reasons we publish them, see PS LA 2008/4.

Edited version of your written advice

Authorisation Number: 1012928938365

Date of advice: 7 January 2016

Ruling

Subject: Commercial Car Parking Station and Car Parking Fringe Benefits

Question 1

Is the car parking facility located within Shopping Centre A a commercial parking station as defined under subsection 136(1) of the Fringe Benefits Tax Assessment Act 1986 (FBTAA 1986)?

Answer

Yes

Question 2

Does the provision by the Employer of car parking facilities to its employees give rise to car parking fringe benefits under section 39A of the FBTAA 1986?

Answer

No

This ruling applies for the following period

FBT year ended 31 March 2015

The scheme commences on

1 April 2014

Relevant facts and circumstances

Relevant legislative provisions

Fringe Benefit Tax Assessment Act 1986 section 39A

Fringe Benefit Tax Assessment Act 1986 section 39E

Fringe Benefit Tax Assessment Act 1986 section 136

Reasons for decision

Issue 1

Question 1

Summary

The car parking facility at Shopping Centre A is a commercial parking station as defined under subsection 136(1) of the Fringe Benefits Tax Assessment Act 1986 (FBTAA 1986) .

Detailed reasoning

Subsection 136(1) of the FBTAA 1986 defines a commercial parking station to be:

The term "all day parking", as used above, is a defined term and means:

"Daylight period" is defined to be the period between 7am and 7pm.

The definition of 'commercial parking station' in subsection 136(1) only requires one of the parking spaces in the facility to be available in the ordinary course of business to members of the public for all-day parking. In considering whether a space is available for all day parking it is not necessary to consider what the primary purpose of the parking facility is.

In order to determine whether the car parking facility at Shopping Centre A is a commercial parking station it is necessary to consider whether Shopping Centre A is one parking station. In considering this question, we need to take into account a number of factors. Some of these factors include:

In Shopping Centre A's case, the car parking facilities are situated in separate buildings positioned adjacent to each other. Each car parking facility has separate entries and exits. Whilst there are passageways that connect the buildings and allowing people to access the three buildings by foot, there are no roads connecting the car parking stations to allow cars to access from one car parking station to another.

The car parking facilities are currently being managed and marketed by one commercial car park operator as two car parks (one express car park and one main car park). The buildings which comprise Shopping Centre A are currently being managed and marketed by one commercial shopping centre operator as one shopping complex. Previously, the buildings were marketed as separate shopping centres by different operators with their own car parks within the building.

Although these car parking facilities are being marketed separately, it is mainly due to their locations and not because they are operating separately. The express car park is located in the basement level and allows easy and quick access to the entry and exit of the car parking facilities. Although monthly parking is available at different rates within the car parking facilities at Shopping Centre A, this is likely due to their locations (higher price due to the better and more convenient location for office workers) rather than being separate car parking facilities.

An early bird daily rate is available in some levels within the car parking facilities. However, if a member of the public was unable to take advantage of the early bird daily rate or the monthly rates (outlined above), it would cost that person an equivalent daily rate to park for 7 continuous hours in each of the P1, P2 and P3 car parking facilities. Hence, the Shopping Centre A Car Park consists of one car parking station and not three car parking stations.

In the case of Shopping Centre A, all car parking facilities in the car parking station are available for all-day parking by members of the public. Therefore, as it has spaces that are available for all-day parking it is a commercial parking station. It is not necessary to consider whether the parking facility was constructed to provide parking to shoppers.

Question 2

Summary

The provision by the Employer of car parking facilities to its employees does not give rise to car parking fringe benefits under section 39A of the Fringe Benefits Tax Assessment Act 1986 (FBTAA 1986) for the FBT year ended 31 March, 2015.

Detailed reasoning

Subsection 39A (1) of the FBTAA 1986 is provided below in full.

Division 10A - Car parking fringe benefits

SECTION 39A  CAR PARKING BENEFIT

 

39A(1)  [Provision of car parking facilities] 

 

Here, the employer provides car parking to its employees.

Whether subsection 39A(1) of the FBTAA 1986 has been satisfied to crystallise a car parking fringe benefit requires an examination of paragraphs 39A(1)(ii) and (iii) of the FBTAA 1986 in the Employer's case (the existence of a commercial car parking station charging a lowest daily rate higher than the FBT car parking threshold..

Section 39E of the FBTAA 1986 is provided in full below:

Division 10A - Car parking fringe benefits

Subdivision B - Taxable value of car parking fringe benefits  

SECTION 39E  FEES CHARGED BY COMMERCIAL PARKING STATIONS FOR ALL-DAY PARKING  

39E(1)  Daily rate equivalent for periodic parking arrangements. 

 

             Total fee             

Business days in period

 

Hence, to calculate the lowest fee charged by a commercial car parking station in paragraph 39A(1)(a)(iii) of the FBTAA 1986 requires looking at all of a car parking operator's rates including weekly, monthly, yearly or other periodic basis and working out the daily rate equivalent.

Taxation Ruling TR 96/26 Fringe Benefits Tax: Car parking Fringe Benefits discusses the calculation and interpretation of the lowest daily fee charged in a commercial car parking station in paragraphs 40 and 43 to 45 below:

The commercial car parking stations located within 1km of the premises on which the cars in the employer's case is parked and the lowest daily fee charged in the FBT year ended 31 March, 2015 were provided by the Employer.

The FBT car parking threshold for the year ended 31 March 2015 was $8.26 as per Taxation Determination TD 2014/11 Fringe benefits tax: for the purposes of section 39A of the Fringe Benefits Tax Assessment Act 1986 what is the car parking threshold for the fringe benefits tax year commencing on 1 April 2014

Hence, there are no commercial car parking stations which are within a 1 km radius of the premises which the Employer's employee car parking facilities in the FBT year ended 31 March 2015 which charged a lowest all day rate higher than $8.26 per day.

Therefore, the provision by the Employer of car parking facilities to its employees does not give rise to car parking fringe benefits under section 39A of the Fringe Benefits Tax Assessment Act 1986 for the FBT year ended 31 March, 2015.


Copyright notice

© Australian Taxation Office for the Commonwealth of Australia

You are free to copy, adapt, modify, transmit and distribute material on this website as you wish (but not in any way that suggests the ATO or the Commonwealth endorses you or any of your services or products).