Draft Taxation Determination

TD 2004/D6

Income tax: Does the payment of a 'commercial debt' by a guarantor, pursuant to a pre-existing guarantee, constitute forgiveness of the debt under section 245-35 of Schedule 2C of the Income Tax Assessment Act 1936?

  • Please note that the PDF version is the authorised version of this draft ruling.
    This document has been finalised by TD 2004/17.

FOI status:

draft only - for comment

Preamble
This document is a draft for industry and professional comment. As such, it represents the preliminary, though considered views of the Australian Taxation Office. This draft may not be relied on by taxpayers and practitioners as it is not a ruling for the purposes of Part IVAAA of the Taxation Administration Act 1953. It is only final Taxation Determinations that represent authoritative statements by the Australian Taxation Office.

1. No, the payment by the guarantor does not of itself constitute the forgiveness of the debt within the meaning of Schedule 2C of the Income Tax Assessment Act 1936 (ITAA 1936). However, a debt that is owed to the guarantor, because the guarantor is subrogated to the rights formally held by the creditor, may be subsequently forgiven by the guarantor.

Explanation

2. What constitutes 'forgiveness' of a debt is specified in section 245-35 of Schedule 2C. The relevant provision, for the purposes of this Draft Taxation Determination, is subsection (1), which states:

'A debt is forgiven if the debtor's obligation to pay the debt is released or waived, or is otherwise extinguished.'

Released or Waived

3. The terms 'released' and 'waived' are not defined for the purposes of Schedule 2C. The Macquarie Dictionary of Law defines 'release' as 'the relinquishment of a legal right or claim against' another, and 'waiver' as 'the intentional renunciation of some legal right or immunity'. In the context of Schedule 2C both terms are considered to encompass circumstances where the debtor has been afforded relief from repaying the debt.

4. The mere payment of a debt by a guarantor does not result in a debtor being afforded 'relief', as under the Common Law the guarantor is subrogated to the rights formerly held by the creditor in relation to the debt so that the debt is now enforceable by the guarantor.

Extinguished

5. In the context of Schedule 2C the payment of a debt by a guarantor does not extinguish the debt in any sense because the guarantor is subrogated to the rights of the creditor, so that the debt continues (albeit owed to a different person).

Definitions

Commercial debt

6. The definition of the term 'commercial debt' is found in section 245-25 of Schedule 2C. Note subsection 245-245(1) of Schedule 2C defines 'debt' as including a part of a debt.

Guarantee

7. Taxation Ruling TR 96/14 at paragraph 41[F1] explains that:

'A guarantee is an accessory contract by which the promisor undertakes to be answerable to the promisee for the debt, default or miscarriage of another person whose primary liability to the promisee must exist or be contemplated. In most jurisdictions it is required by statute that the contract must either be in writing or evidenced by a written note or memorandum signed by or on behalf of the party to be charged. The guarantor or surety is the person who engages with the creditor of a third party to be answerable in the second degree for the liability of the third party...'

8. As explained in paragraph 51 of Taxation Ruling TR 96/23, a guarantee is to be distinguished from an indemnity.

Date of Effect

9. When the final Determination is issued, it is proposed to apply both before and after its date of issue. However, the Determination will not apply to taxpayers to the extent that it conflicts with the terms of settlement of a dispute agreed to before the date of issue of the Determination (see paragraphs 21 and 22 of Taxation Ruling TR 92/20).

Your comments

10. We invite you to comment on this draft Taxation Determination. We are allowing 4 weeks for comments before we finalise the Determination. If you want your comments considered, please provide them to us within this period.

Comments by Date: 29 April 2004
Contact officer details have been removed following publication of the final ruling.

Commissioner of Taxation
17 March 2004

Footnotes

1 See also Taxation Ruling TR 96/23 at paragraph 5

Not previously issued in draft form.

References

ATO references:
NO 2003/4078

ISSN: 1038-8982

Related Rulings/Determinations:

TR 96/14
TR 96/23

Subject References:
commercial debt
debt
debt forgiveness
guarantee
waiver

Legislative References:
ITAA 1936 Sch2C
ITAA 1936 245-25
ITAA 1936 245-35
ITAA 1936 245-245(1)