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Edited version of private advice

Authorisation Number: 1051963403517

Date of advice: 21 March 2022

Ruling

Subject: Trust resettlement

Question

Will the proposed amendments to the Trust Deed cause capital gains tax (CGT) event E1 or E2 in section 104-55 or section 104-60 of the Income Tax Assessment Act 1997 (ITAA 1997) to occur?

Answer

No, the proposed amendments to the Trust Deed will not cause CGT event E1 or E2 in section 104-55 or section 104-60 of the ITAA 1997 to occur.

This ruling applies for the following period:

1 July 20XX to 30 June 20XX

The scheme commences on:

1 July 20XX

Relevant facts and circumstances

The Trust was established by Trust Deed on X Month 19XX.

The Trust Deed provides that;

•         specified beneficiaries of the Trust in the Schedule are the children of Person B (of which there are five)

•         general beneficiaries of the Trust in the Schedule are Person B and their spouse

•         clauses in the Trust Deed make further provisions about beneficiaries extending the general beneficiaries to include;

­        the specified beneficiaries are general beneficiaries

­        an extensive list of family members (such as; brothers sisters spouses widows widowers children and grandchildren of the beneficiaries and the spouses widows widowers children and grandchildren of brothers and sisters spouses children and grandchildren).

­        eligible corporations, trusts and charities.

The proposed Deed of Variation has not yet been executed but is to be made in accordance the Trust Deed which provides powers for the Trustee to make changes including to exclude beneficiaries.

The proposed variation is to amend the Trust Deed to;

•         update the name Person A

•         make Person A, as well as any spouse or lineal decedents of Person A and lineal decedents of any spouse of Person A all excluded beneficiaries

•         add Person D to the class of general beneficiaries of the Trust in the Schedule

•         place limitations on access by beneficiaries to communications and documentation that the Trustee has relied on.

There have been prior variations made to the Trust Deed previously on X Month 19XX, X Month 19XX, X Month 19XX and X Month 20XX in relation to;

•         the ability to allow a mortgage

•         limit distributions to non-Australian entities or residents

•         providing for guardian and appointer succession

•         updating the definition of net income and how the Trustee deals with the net income.

Relevant legislative provisions

Sections 104-55, 104-60, 149-10, 149-15 and 149-30 of the ITAA 1997.

Sections 160ZZS and 82KXC(1) of the Income Tax Assessment Act 1936

Section 357-60 of Schedule 1 to the Taxation Administration Act 1953