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Edited version of your written advice

Authorisation Number: 1051378675150

Date of advice: 31 May 2018

Ruling

Subject: GST and sale of a going concern

Question

Are you making a GST-free supply of a going concern pursuant to section 38-325 of the A New Tax System (Goods and Services Tax Act) 1999 (GST Act)?

Answer

Yes

This ruling applies for the following period(s)

1 July 20XX to 30 June 20XX

The scheme commences on

1 June 20XX

Relevant facts and circumstances

You are registered for GST and carry on an enterprise of providing internet advertising services for customers wanting to buy and sell specified items (the Business).

You were approached by a Buyer to acquire the Business.

The Buyer drafted a Heads of Agreement (HoA) to acquire the Business.

You entered into an Agreement (Contract) dated xx/xx/xxxx with the Buyer for the sale of the Business together with specified assets.

The Contract was completed on xx/xx/xxxx (Completion Date).

The ‘Business’ is defined in the Contract:

The Contract provides that the Purchase Price is $X comprising payments of $X and a further payment of $Y.

The Buyer is registered for GST effective from xx/xx/xxxx.

The HoA states that the Business is to be sold as a going concern.

The Contract states:

The term ‘Assets’ is defined as ‘the property, rights and assets of the Business described …’.

The Contract states:

The Contract continues stating the ‘Excluded Items are excluded from the sale under this agreement.’

The term ‘Excluded Items’ is defined as ‘the assets, rights and liabilities described in xxxx which are to be excluded from the sale pursuant to this agreement’.

The Contract lists the following Assets:

The Contract lists the following Excluded Items:

The term ‘Business Contracts’ referred to in the Contract is defined as ‘the Customer Contracts, Supplier Contracts, IT Contracts, Outgoing Licenses and Incoming Licences’.

The following terms are also defined in the Contract:

The term ‘Records’ referred to is defined as:

‘Customer Database’ is defined as:

The Contract states the following:

11. Employees

The Contract details restrictions placed on you (the Seller) and the sole Director and shareholder of the Seller being collectively referred to as the ‘Covenantors’. The restrictions placed on the Covenantors include that for specified periods relating to specific geographical areas (Restricted Area) the Covenantors shall not either directly or indirectly:

The consideration for the Covenants is included in the Purchase Price.

You carried on the Business until the date of the sale.

Relevant legislative provisions

A New Tax System (Goods and Services Tax Act) 1999

Section 38-325

Subsection 38-325(1)

Subsection 38-325(2)

Reasons for decision

Note: In this reasoning, unless otherwise stated,

Subsection 38-325(2) provides that for GST purposes, a supply of a going concern is a supply under an arrangement under which:

Goods and Services Tax Ruling GSTR 2002/5; Goods and services tax: when is a 'supply of a going concern' GST-free? provides guidance on the application of the going concern provisions for GST purposes.

Identified enterprise

Paragraph 29 of GSTR 2002/5 explains that subsection 38-325(2) requires the identification of an enterprise that is being carried on by the supplier (the 'identified enterprise'). The identified enterprise must meet the requirements of subsection 38-325(2).

In this case, given the facts provided we consider the subject of the transaction is the business of providing online advertisement services, showroom services, social media services, hosting websites, and other web and hosted services in respect to the buying and selling of specified items (the identified enterprise).

Supply of all things necessary for the continued operation of an enterprise

Paragraph 72 of GSTR 2002/5 states in part that the term ‘necessary incorporates every attribute of an enterprise that is essential for the continued operation of the ‘identified enterprise’. The things that are ‘necessary’ will depend on the nature of the enterprise carried on and the core attributes of that enterprise.

Paragraph 73 of GSTR 2002/5 continues stating that a ‘thing’ is necessary for the continued operation of an ‘identified enterprise’ if the enterprise could not be operated by the recipient in the absence of the thing.

There are two elements identified in paragraph 75 of GSTR 2002/5 as being essential for the continued operation of an enterprise:

On the issue of a supply of an operating structure and processes, paragraphs 78 to 80 state the following:

In regard to a supply of goodwill, paragraphs 110 and 111 provide that goodwill is intangible property and attaches to a business. Goodwill cannot attach to an enterprise which is not a business. As such, if the ‘identified enterprise’ is a business, goodwill is supplied as one of the things that is necessary for the continued operation of that enterprise.

Paragraph 115 of GSTR 2002/5 discusses that some arrangements for the supply of a business may include restrictive covenants. Where a restrictive covenant is supplied as part of an arrangement, it is one of those things that is necessary for the continued operation of an enterprise.

Paragraph 116 of GSTR 2002/5 states that where intellectual property exists and is one of the things that is necessary for the continued operation of the enterprise which is the subject of the arrangement, the benefit of the intellectual property must be supplied to the recipient under the arrangement.

On the issue of staff, paragraphs 122 to 124 discuss that the services of employees are necessary for the operation of many enterprises. However, for GST purposes, employees are not ‘things’ and therefore are not of themselves ‘things that are necessary for the continued operation of an enterprise’. However, continuity of employment of the existing workforce is not an entirely irrelevant consideration in determining whether there is a ‘supply of a going concern’. The continued employment by the recipient of a significant portion of an existing workforce is consistent with the operating structure and processes of the supplier’s enterprise having been supplied to the recipient.

Given the facts of this case together with the issues discussed above in regard to goodwill, restrictive covenants and staff, we consider that under the arrangement (Contract) you will providing ‘all things necessary’ for the Buyer to carry on the continued operation of the Business. Furthermore, you carried on the Business until the day of the supply (Completion Date).

Therefore, the requirements of subsection 38-325(2) have been satisfied.

GST-free supply of a going concern

Subsection 38-325(1) provides that the sale of a going concern will be GST-free if:

In this case you made the supply for consideration and the recipient (Buyer) is registered for GST. Furthermore the Contract contains agreement that the supplier (Seller) has agreed to sell and transfer, and the recipient (Buyer) has agreed to buy, the business (together with the Assets) as a going concern.

As such, the criteria of subsection 38-325(1) have been satisfied.

Conclusion

Your supply is a supply of a GST-free going concern pursuant to section 38-325 of the GST Act.


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