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This edited version has been archived due to the length of time since original publication.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

Authorisation Number: 1051198878313

Date of advice: 3 March 2017

Ruling

Subject: Interest Deduction under section 8-1

Facts

Summary

The interest expense incurred by the taxpayer on its borrowing to acquire the shares of a company carrying on the business of a professional practice will not be an allowable deduction under s8-1 of ITAA 1997 due to uncertainty regarding the ability to undertake the arrangement as proposed.

Detailed reasoning

In order for a deduction to be claimed by the entity under section 8-1 of the ITAA 1997 the expense must be incurred in gaining or producing assessable income or necessarily incurred in carrying on a business in gaining or producing assessable income.

Even if, under the arrangement as proposed, assessable income will be generated for the entity, we do not accept that this is sufficient to answer this question because we do not accept that the arrangement can be undertaken as proposed as the arrangement would not satisfy taxation rulings published on the issue.


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