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How is the annual deductible amount of the UPP calculated in relation to a fixed term rebatable superannuation pension paid from a complying superannuation fund where the pension commenced to be paid after 30 June 1994 and before 4 June 1998?
The annual deductible amount of the superannuation pension is ascertained in accordance with the formula found in subsection 27H(2) of the Income Tax Assessment Act 1936 (ITAA 1936).
The taxpayer receives a pension from a complying superannuation fund.
The superannuation fund is a taxed superannuation fund.
The pension is payable for a fixed term.
The pension became payable after 30 June 1994 and before 4 June 1998.
As the pension commenced to be payable after 1 July 1983, section 27H of the ITAA 1936 applies. Under subsection 27H(2), the annual deductible amount of a superannuation pension is ascertained in accordance with the formula where: A = is the relevant share of the pension payable to the taxpayer in relation to the year of income (in this case all of the pension is payable to the taxpayer, so A = 1); B = is the amount of the undeducted purchase price of the pension; C = is the residual capital value; and D = is the relevant number in relation to the pension.
The 'undeducted purchase price' of the pension is defined in subsection 27A(1) of the ITAA 1936. As the pension: • commenced to be payable after 30 June 1994 and before 4 June 1998; • is a rebatable superannuation pension (as defined in section 159SJ or the ITAA 1936); and • is not a pension to which section 27AAAA of the ITAA 1936 applies.
The undeducted purchase price is so much of the purchase price of the pension as was paid on or after 1 July 1983 for which no tax deduction was, or will be, allowable reduced by the amounts of the following components of any eligible termination payment (ETP) rolled-over towards purchase of the pension: • the taxed element of the post-June 83 component; • the untaxed element of the post-June 83 component; • the pre-July 83 component; • the concessional component; and • the post-June 1994 invalidity component.
Subsection 27A(5C) of the ITAA 1936 provides that contributions made by an employer, or by another person under an agreement to which the employer was a party, cannot form part of the undeducted purchase price of the pension.
Pursuant to subsection 27H(4) of the ITAA 1936, when a pension is payable for a fixed term, the relevant number is the number of years of the term.
In Taxation Ruling IT 2157 the Commissioner states, in paragraph 27, that in cases where a pension is to revert to a surviving spouse, the relevant number will be the greater of the two life expectancies.
Paragraph 18 of Taxation Ruling IT 2157 states that where a pension commences during a year of income, then subsection 27H(3) is to apply. The deductible amount is the proportion of the amount calculated under subsection 27H(2) that the period for which the pension is payable during the year bears to the full year.
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