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This edited version has been archived due to the length of time since original publication.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 written advice

Authorisation Number: 1012885876462

Ruling

Subject: Structured settlement

Question and Answer

Are payments from an annuity which was purchased under the terms of a structured settlement included in your assessable income?

No

Is the payment of a structured settlement lump sum or lump sums made to you or to the trustee of a trust of which you are the beneficiary included in your assessable income?

No

This ruling applies for the following period(s)

Financial year ending 30 June 2016

Financial year ending 30 June 2017

Financial year ending 30 June 2018

Financial year ending 30 June 2019

Financial year ending 30 June 2020

The scheme commences on

The scheme has commenced

Relevant facts and circumstances

You were injured outside Australia.

You are claiming compensation in respect of your injuries in the foreign location.

Your claim is not being made under a workers' compensation law.

You are still living in the foreign location where you are receiving medical treatment and care.

You have engaged lawyers in the foreign location and through them you are negotiating with the relevant insurer towards a structured settlement.

You intend to relocate to Australia permanently once your personal injury compensation claim has been settled.

The claim is being based on the commission of a tort.

The terms of settlement have not been reached.

You advise your terms of agreement will clearly state that the payment will be related to injury.

The settlement will be by way of written agreement.

You may remain in the foreign location sometime after settlement in order to continue your medical treatment.

Upon relocation to Australia, you will become a resident for tax purposes.

Annuity

When the claim is settled, the insurer of the defendant will purchase an annuity.

The annuity will be purchased under the terms of a structured settlement which at this point has not been determined.

The annuity will be purchased from a company registered under section 21 of the Life Insurance Act 1995, is documented and;

    • Identifies the structured settlement under which the annuity is provided;

    • Only allows for the payments to be made to yourself or your estate or reversionary beneficiary;

    • Contains a statement to the effect that the annuity cannot be assigned and cannot be commuted.

The annuity will specify the date of the first payment and the amount of each periodic payment.

The annuity will allow for the amount of the payments to be varied by one of the following methods:

    • CPI; or

    • AWOTE; or

    • a percentage specified in the annuity

The annuity will be at least for the minimum monthly level of support as specified in Section 54-40 of the Income Tax Assessment Act 1997.

Lump Sum

The lump sum(s) will be paid on specified dates under an instrument which identifies the structured settlement under which the lump sum(s) will be provided.

The instrument will only allow for the payment of the lump sum or lump sums to be made to you or a trustee of a trust of which you are the beneficiary.

The instrument will contain a statement to the effect that the right to receive the lump sum or lump sums cannot be assigned and cannot be commuted or otherwise cashed out early.

The instrument will allow for the amount of the payments to be varied by the lowest increase of:

    • CPI; or

    • AWOTE; or

    • a percentage specified in the annuity

The amounts of the annuity or lump sum(s) have not been settled.

Relevant legislative provisions

Section 54-15 of the Income Tax Administration Act 1997

Section 54-20 of the Income Tax Administration Act 1997

Section 54-25 of the Income Tax Administration Act 1997

Section 54-30 of the Income Tax Administration Act 1997

Section 54-35 of the Income Tax Administration Act 1997

Section 54-40 of the Income Tax Administration Act 1997

Section 54-45 of the Income Tax Administration Act 1997

Section 54-50 of the Income Tax Administration Act 1997

Section 54-55 of the Income Tax Administration Act 1997

Section 54-60 of the Income Tax Administration Act 1997

Section 21 of the Life Insurance Act 1995

Section 359-25 of Schedule 1 to the Taxation Administration Act 1953

Reasons for decision

Structured settlements

A `structured settlement' is a settlement agreement between a plaintiff and a defendant pursuant to which the defendant is required to pay at least part of the agreed damages periodically rather than in a single lump sum. Unlike periodical payments (such as are provided under the social security system), which are assessed from time to time, a structured settlement is based on the lump sum to which the plaintiff is entitled according to the ordinary rules for assessment of damages. Some or all of that lump sum is used to buy an annuity which generates income out of which payments are made to the plaintiff from time to time according to an agreed schedule.

Division 54 exemption for structured settlements and orders

Division 54 of the Income Tax Assessment Act 1997 provides an exemption for certain annuities and lump sums provided to personal injury victims under structured settlements or structured orders.

A structured settlement is one that meets all of the following five conditions:

    1) The claim must be for compensation or damages for personal injury suffered by a person and the claim must be made by the injured person or by his/her legal personal representative.

    2) The claim must be based on the commission of a wrong or on a right created by statute.

    3) The claim cannot be an action against a defendant in his/her capacity as an employer, or an associate of an employer, or a claim made under workers compensation law, or a claim that could instead be made under workers compensation law.

    4) The settlement must be in a written agreement between the parties to the claim. This applies whether or not the agreement is approved by an order of a court or is in a consent order made by a court.

    5) The terms of the settlement must provide for some or all of a lump sum award of compensation or damages to be used by the defendant or the defendant's insurer to purchase from one or more life insurance companies or state insurers:

    • an annuity or group of annuities to be paid to the injured person (or his/her trustee), or

    • an annuity or group of annuities combined with one or more deferred lump sums to be paid to the injured person (or his/her trustee).

Exempt personal injury annuities

A personal injury annuity is an annuity purchased under the terms of a structured settlement or structured order. A personal injury annuity will be eligible for exemption if (broadly) the following conditions are met:

    • The compensation payment or damages, if paid in the form of a lump sum at the date of settlement or order, would not have to be included in the assessable income of the injured person (eg it is not compensation for lost earnings)

    • The annuity instrument only allows for payments of the annuity to be made to the injured person, his/her trustee, a reversionary beneficiary or the injured person's estate and contains a statement to the effect that the annuity cannot be assigned and cannot be commuted except by a reversionary beneficiary.

    • The annuity instrument provides that the payments of the annuity are to be made at least annually over a period of at least 10 years during the life of the injured person or for the life of the injured person. Annuity payments may be guaranteed up to 10 years after the date of settlement. In the event the injured person dies during the guarantee period, the remaining payments may be made to either the injured person's estate or a reversionary beneficiary

    • The annuity or annuities in total provide a minimum monthly level of support over the annuitant's life.

Exempt personal annuity lump sums

Structured settlements and structured orders may include non-annual lump sum payments that are made to claimants at regular intervals to fund expected purchases,. A personal injury lump sum is a lump sum that is purchased under the terms of a structured settlement or structured order. Personal injury lump sums will be exempt from income tax if all of the following conditions are met:

    • There is at least one personal injury annuity provided under the same structured settlement or structured order that satisfies the eligibility conditions described above.

    • The lump sum would not have been taxable if it had been paid as a lump sum at the time of settlement.

    • The annuity instrument identifies the structured settlement or structured order under which the personal injury lump sum is provided and only allows for payments of the annuity to be made to the injured person or his/her trustee, or contains a statement to the effect that the right to receive the lump sum cannot be assigned or commuted/cashed out.

    • The contract specifies the date and amount of the payment of the lump sum. The lump sum can only be increased through appropriate indexation or by a specified percentage.