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This edited version has been archived due to the length of time since original publication.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 your private ruling

Authorisation Number: 1012008385335

This edited version of your ruling will be published in the public register of private binding rulings after 28 days from the issue date of the ruling. The attached private rulings fact sheet has more information.

Please check this edited version to be sure that there are no details remaining that you think may allow you to be identified. If you have any concerns about this ruling you wish to discuss, you will find our contact details in the fact sheet.

Ruling

Subject: Option Share Trust

Question 1

Will the contributions of monies by the contracting entity to the trustee pursuant to the relevant clause of the trust deed in respect of arm's length contractors of the contracting entity constitute an income tax deduction under section 8-1 of the Income Tax Assessment Act 1997 (ITAA 1997)?

Answer

Yes

Question 2

Will the loans of monies by the contracting entity to the trustee pursuant to the relevant clause of the trust deed constitute an income tax deduction under section 8-1 of the ITAA 1997?

Answer

No

Question 3

Will the payment of administration fees by the contracting entity to the administrator under the administrator for the provision of administration services to the trustee be deductible under section 8-1 of the ITAA 1997?

Answer

Yes

Question 4

Will the operating costs associated with the administration of the share plan incurred by the contracting entity be deductible under section 8-1 of the ITAA 1997?

Answer

Yes

Question 5

Will the general anti-avoidance provisions under Part IVA of the ITAA 1936 apply to the scheme described?

Answer

No

Relevant facts and circumstances

The contracting entity intends to implement a long term equity plan for the purpose of providing a long term equity incentive structure to deliver equity based benefits to the contractor.

Relevant legislative provisions

Income Tax Assessment Act 1936 Part IVA.

Income Tax Assessment Act 1997 Section 8-1.

Income Tax Assessment Act 1997 Subsection 8-1(1).

Income Tax Assessment Act 1997 Subsection 8-1(2).

Reasons for decision

Question 1

Will the contributions of monies by the contracting entity to the trustee pursuant to the relevant clause of the trust deed in respect of arm's length contractors of the contracting entity constitute an income tax deduction under section 8-1 of the ITAA 1997?

Yes

Section 8-1 of the ITAA 1997 provides that:

    8-1(1) You can deduct from your assessable income any loss or outgoing to the extent that:

    · it is incurred in gaining or producing your assessable income; or

    · it is necessarily incurred in carrying on a business for the purpose of gaining or producing your assessable income.

    8-1(2) However, you cannot deduct a loss or outgoing under this section to the extent that:

    · it is a loss or outgoing of capital, or of a capital nature; or

    · it is a loss or outgoing of a private or domestic nature; or

    · it is incurred in relation to gaining or producing your exempt income or your non-assessable non-exempt income; or

    · a provision of this Act prevents you from deducting it.

The contributions of monies by the contracting entity to the trustee in respect of arm's length contractors with the contracting entity will be linked to the contracting entity's contract with the arm's length contractors and their performance. The contributions represent a cost or outgoing to or in connection with the operation of the share plan, and are relevant to the production of the assessable income of the contracting entity.

The contributions are therefore incurred in gaining or producing assessable income and are deductible under section 8-1 of the ITAA 1997.

Question 2

Will the loans of monies by the contracting entity to the trustee pursuant to the relevant clause of the trust deed constitute an income tax deduction under section 8-1 of the ITAA 1997?

No

A loan is not a loss or outgoing for the purposes of section 8-1 of the ITAA 1997.

Question 3

Will the payment of administration fees by the contracting entity to the administrator under the administrator for the provision of administration services to the trustee be deductible under section 8-1 of the ITAA 1997?

Yes

Pursuant to the administrator, the administrator has agreed to provide certain administration services to the trustee and the contracting entity has agreed to pay administration fees for these administration services.

The administration fees payable by the contracting entity under the administrator for the provision of administration services represent a cost or outgoing to or in connection with the operation of the share plan. Accordingly they are deductible under section 8-1 of the ITAA 1997 in the year that they are incurred.

Question 4

Will the operating costs associated with the administration of the share plan incurred by the contracting entity be deductible under section 8-1 of the ITAA 1997?

Yes

The contracting entity incurs costs operating the share plan. These costs include general administration costs such as accounting fees, bank charges, interest fees, preparation and lodgement of tax returns, rental of office space, office furniture and machinery and computer leases and other ongoing administrative expenses necessarily incurred in running the share plan.

The operating costs associated with the administration of the share plan represent a cost or outgoing to or in connection with the operation of the share plan. Accordingly they are deductible under section 8-1 of the ITAA 1997 in the year that they are incurred.

Question 5

Will the general anti-avoidance provisions under Part IVA of the ITAA 1936 apply to the scheme described?

No

Provided that the scheme as implemented is materially identical to the scheme described in this ruling it is considered that Part IVA of the ITAA 1936 would not apply in respect of the contracting entity.