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1 Is Company A entitled to claim a deduction for payments to Trust A, under section 8-1 of the Income Tax Assessment Act 1997 (ITAA 1997)?
Yes. Question 2 Is Company A required to include in its assessable income under section 6-5 of the ITAA 1997, amounts derived from its related entities in respect of payments to Trust A? Answer Yes.
Company A is an Australian resident company. Trust A is a fixed trust settled in Australia. Company A makes certain payments to Trust A with contributions received from several related entities.
Section 6-5 of the ITAA 1997 Section 8-1 of the ITAA 1997
Company A is entitled to claim a deduction for payments to Trust A under section 8-1 of ITAA 1997 because the payments are incurred in gaining or producing assessable income of Company A and they not considered to be capital or of a capital nature. The amounts derived by Company A from the related entities are ordinary income. Therefore, they are assessable to Company A under section 6-5 of the ITAA 1997.
Choose document B