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Edited version of private advice
Authorisation Number: 1051634032322
Date of advice: 12 February 2020
Ruling
Subject: Assessable income - beneficiary - foreign life insurance policy
Question
Is the lump sum payment received on maturity of a foreign life insurance policy assessable in Australia?
Answer
No.
This ruling applies for the following period
Year ended 30 June 2020
The scheme commenced on
1 July 2019
Relevant facts and circumstances
You are an Australian resident for taxation purposes.
Your relative took out a life insurance policy in an overseas country in XXXX more than 10 years ago.
You were the sole beneficiary under the life insurance policy.
The policy matured in December 20XX and as a result you received a lump sum payment (including bonuses).
Relevant legislative provisions
Income Tax Assessment Act 1997 section 6-5
Income Tax Assessment Act 1997 section 6-10
Income Tax Assessment Act 1936 section 26AH
Income Tax Assessment Act 1936 section 99B
Income Tax Assessment Act 1936 subsection 99B(1)
Income Tax Assessment Act 1936 paragraph 99B(2)(b)
Reasons for decision
Section 6-5 of the Income Tax Assessment Act 1997 (ITAA 1997) and section 6-10 of the ITAA 1997 provide that your assessable income includes ordinary income and statutory income from all sources, whether in or out of Australia.
Ordinary income is income according to ordinary concepts.
A lump sum payment received on maturity of a foreign life insurance policy is a distribution from a non-resident trust.
Subsection 99B(1) of the Income Tax Assessment Act 1936 (ITAA 1936) provides that where a resident beneficiary receives a distribution from a non-resident trust the amount they receive is included in their assessable income. However, paragraph 99B(2)(b) of the ITAA 1936 states that an amount is excluded if it is not normally assessable to a resident taxpayer.
Taxation Ruling IT 2504 discusses the taxation consequences of receiving bonuses and lump sum payments from life insurance policies. Paragraph 2 of TR IT 2504 states that bonuses received on a life insurance policy are not income according to ordinary concepts.
Section 26AH of the ITAA 1936 states that a bonus received on surrender or maturity of a life insurance policy held for less than ten years from commencement of the policy is assessable as statutory income.
The lump sum payment you received on the maturity of the life insurance policy is considered a distribution to a resident from a non-resident trust. However, as stated in paragraph 2 of IT 2504, this payment is not assessable as ordinary income. Furthermore, the payment is not assessable as statutory income as the life insurance policy was held for longer than ten years.
As the lump sum payment would not be assessable income of a resident taxpayer, paragraph 99B(2)(b) of the ITAA 1936 will therefore apply and the payment will not be assessable under section 99B of the ITAA 1936. As the lump sum payment is not ordinary or statutory income it is not included in your assessable income.
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