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Edited version of your written advice

Authorisation Number: 1051214876004

Date of advice: 27 April 2017

Ruling

Subject: Genuine Redundancy

Question

Is any part of the payments received from a redundancy trust considered genuine redundancy payments under section 83-175 of the Income Tax Assessment Act 1997 (ITAA1997)?

Answer

No.

This ruling applies for the following periods

Year Ending June 2016.

Year Ending June 2015.

The scheme commenced on

1 July 2014.

Relevant facts and circumstances

Relevant legislative provisions

Income Tax Assessment Act 1997 Section 82-130.

Income Tax Assessment Act 1997 Subsection 82-130(1).

Income Tax Assessment Act 1997 Section 83-175.

Income Tax Assessment Act 1997 Subsection 83-175 (1).

Income Tax Assessment Act 1997 Subsection 83-175 (2).

Income Tax Assessment Act 1997 Subsection 83-175 (3).

Income Tax Assessment Act 1997 Subsection 83-175 (4).

Income Tax Assessment Act 1997 Section 83-170.

Taxation Administration Act 1953 Subsection Sch 1-357-105(2).

Reasons for decision

Summary

Detailed reasoning

Genuine redundancy payment (GRP)

(1) A genuine redundancy payment is so much of a payment received by an employee who is dismissed from employment because the employee’s position is genuinely redundant as exceeds the amount that could reasonably be expected to be received by the employee in consequence of the voluntary termination of his or her employment at the time of dismissal.

(2) A genuine redundancy payment must satisfy the following conditions:

    (a) the employee is dismissed before the earlier of the following:

      (i) the day he or she turned 65;

      (ii) if the employee’s employment would have terminated when he or she reached a particular age or completed a particular period of service the day he or she would reach the age or complete the period of service (as the case may be);

    (b) if the dismissal was not at arm’s length the payment does not exceed the amount that could reasonably be expected to be made if the dismissal were at arm’s length;

    (c) at the time of the dismissal, there was no arrangement between the employee and the employer, or between the employer and another person, to employ the employee after dismissal.

(3) However, a genuine redundancy payment does not include any part of a payment that was received by the employee in lieu of superannuation benefits to which the employee may have become entitled at the time the payment was received or at a later time.

Payments not covered

(4) A payment is not a genuine redundancy payment if it is a payment mentioned in section 82-135 (apart from paragraph 82-135(e)).

There are four necessary components within this requirement:

_ The payment being tested must be received in consequence of an employee’s termination.

_ That termination must involve an employee being dismissed from employment.

_ That dismissal must be caused by the redundancy of the employee’s position.

_ The redundancy payment must be made genuinely because of a redundancy.

Exceeds the amount that could reasonably be expected in consequence of voluntary termination

A genuine redundancy payment is so much of a payment received by an employee …[which] exceeds the amount that could reasonably be expected to be received by the employee in consequence of the voluntary termination of his or her employment at the time of dismissal.

57. Assuming that the genuine redundancy payment requirements in section 83-175 are satisfied in relation to a payment, subsection 83-175(1) identifies that part of the payment that is specifically attributable to the fact that employment has been terminated because of redundancy. Only this part of the payment can receive tax-free treatment.

58. Subsection 83-175(1) identifies the amount attributable to redundancy by deducting the amount that could reasonably be expected to be received by the employee if he or she had voluntarily terminated employment at the time of being dismissed. In this Ruling, this is referred to as the voluntary termination element of a redundancy payment.

59. Apart from this hypothetical change in circumstances to a voluntary termination instead of a dismissal caused by redundancy, all other circumstances surrounding the termination are assumed to be the same.

107. The amount that accrues to a particular worker (and therefore, become s payable from a particular account [this could be a 'Worker’s Account’ or GRA]) is in no way dependent on the nature of the termination of employment or the account to which the amounts are credited. The worker’s entitlement is always to the balance of the account. There is no additional amount as contemplated by paragraphs 61 to 63 of TR 2009/2.

Conclusion

Further issues for you to consider

Employment Termination Payments for persons under preservation age are taxed at 32%.

ATO view documents

CR 2012/40 Income tax: payments from Redundancy Central Fund 2 and Redundancy Payment Approved Worker Entitlement Fund 2.

TR 2009/2 Income tax: genuine redundancy payments.

Other references


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