Disclaimer This edited version has been archived due to the length of time since original publication.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. You cannot rely on this record in your tax affairs. It is not binding and provides you with no protection (including from any underpaid tax, penalty or interest). In addition, this record is not an authority for the purposes of establishing a reasonably arguable position for you to apply to your own circumstances. For more information on the status of edited versions of private advice and reasons we publish them, see PS LA 2008/4. |
Edited version of private ruling
Authorisation Number: 1011674538730
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Ruling
Subject: The annual deductible amount of the Undeducted Purchase Price (UPP) of your foreign pension.
Are you entitled to an annual deductible amount in respect of the UPP of your foreign pension?
Yes, your annual deductible amount is XXX.
This ruling applies for the following period:
Year ended 30 June 2009
The scheme commenced on:
1 July 2008
Relevant facts and circumstances
This ruling is based on the facts stated in the description of the scheme that is set out below. If your circumstances are materially different from these facts, this ruling has no effect and you cannot rely on it. The fact sheet has more information about relying on your private ruling.
You receive a pension from a retirement fund established and managed outside Australia.
There is no Taxation Ruling or Taxation Determination published which provides for an alternative calculation or Commissioner's discretion under section 27H(3) of the Income Tax Assessment Act 1936 (ITAA 1936).
The international tax agreement between Australia and country X (the country in which the retirement fund is established and managed provides that the pension is taxable in Australia).
Your assessable income includes your pension income.
All the pension is payable to you.
The pension became payable on or after 1 July 1983.
The pension commenced on 1 July 2008.
The pension is payable for life, and on your death reverts to your spouse.
The total amount of contributions, other than employer contributions, paid to the retirement fund towards the purchase of the pension is XX.
The residual capital value of the pension is nil.
Your age when the pension commenced was 60.
Your spouse's age when the pension commenced was 60
Your pension is paid on a monthly basis.
Assumptions
This ruling is given on the basis of the facts stated in the description of the scheme as set out above. Any material variation from these facts (including any matters not stated in the description above and any departure from these facts) will mean that the ruling will have no effect. Examples of such variations include but are not limited to commutation, divorce and re-marriage. No entity will then be able to rely on this ruling as the Commissioner will consider that the scheme has been implemented in a way that is materially different from the scheme described.
Relevant legislative provisions
Income Tax Assessment Act 1936 Section 27H
Income Tax Assessment Act 1936 Subsection 27H(2)
Income Tax Assessment Act 1936 Subsection 27H(3)
Income Tax Assessment Act 1936 Subsection 27H(4)
Income Tax Assessment Act 1997 Section 960-50
Income Tax Regulations 1936 Regulation 9
Income Tax Assessment Regulations 1997 Regulation 960-50
EXPLANATION
Please note that all references to 'pension' cover both pensions and annuities.
Section 27H of the ITAA 1936 operates to include in assessable income the amount of any pension derived by a taxpayer during a year of income reduced by the annual deductible amount.
The deductible amount is deemed to be a return of part of your contribution towards the purchase of the pension.
The deductible amount is calculated based on the UPP of your pension.
The UPP is the amount you contributed towards the purchase price of your pension for which you did not claim, and were not eligible to claim, a tax deduction in Australia. Contributions made by an employer or by another person under an agreement to which the employer was a party, cannot form part of the UPP of the pension.
Under subsection 27H(2) of the ITAA 1936 and subject to subsection 27H(3) or (3A) of the ITAA 1936, the annual deductible amount of a superannuation pension is ascertained in accordance with the formula:
A (B - C) |
D |
where:
A = is the relevant share of the pension payable to the taxpayer in relation to the year of income (if all of the pension is payable to the taxpayer, A = 1)
B = is the amount of the UPP of the pension
C = is the residual capital value, and
D = is the relevant number in relation to the pension.
Under subsection 27H(4) of the ITAA 1936, when a pension is payable during the lifetime of a person, the 'life expectation factor' is to be used as the relevant number.
Regulation 9 of the Income Tax Regulations 1936 states that for the purposes of the definition of life expectation factor in subsection 27H(4) of the ITAA 1936, the Australian Life Tables published by the Australian Government Actuary are to be used.
In Taxation Determination TD 2006/72 the Commissioner states, in paragraph 1, that the relevant number used to calculate the deductible amount of a superannuation pension that is payable to a person (the original pensioner) for life and on the death of that person is payable to another person for their life (the reversionary pensioner) will be the greater of the life expectancies of the original and reversionary pensioners.
The factors for determining the life expectancy are:
· the date the pension first became payable
· your age when the pension commenced
· your spouse's age when the pension commenced.
The annual deductible amount has been calculated in accordance with subsection 27H(2) of the ITAA 1936.