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Legislation
ATO documents that consider ITAA 1936 s 27F
27 documents
Income tax: genuine redundancy payments
Income tax: deductibility of employer contributions to the South Australian Building Industry Redundancy Scheme Trust
Income tax: deductibility of employer contributions to the Mechanical and Electrical Redundancy Trust
Income tax: tax treatment of payments to members of the South Australian Building Industry Redundancy Scheme Trust
Income tax: tax treatment of payments to members of the Mechanical and Electrical Redundancy Trust
Income tax: tax treatment of payments to members of the Australian Construction Industry Redundancy Trust
Income tax: treatment of payments received under the Securing our Fishing Future package: * Assistance for Skippers and Crew
Income tax: payments under the Western Hardwoods Displaced Workers Assistance Scheme
Income tax: tax treatment of payments to members of the Australian Construction Industry Redundancy Trust
Income tax: payments made under the EG Green & Sons, Harvey - Worker Support Program
Income tax: payments from Redundancy Payment Central Fund No 2 and Redundancy Payment Approved Worker Entitlement Fund 2
Income tax: tax treatment of payments to members of the Australian Construction Industry Redundancy Trust
Income tax: tax treatment of payments to members of the Australian Construction Industry Redundancy Trust
Income tax: is a redundancy payment from redundancy trusts based on the Building Industry Agreement 1 October 1987 considered to be a bona fide redundancy payment under section 27F of the Income Tax Assessment Act 1936?
Income tax: is a payment received under a voluntary redundancy package a bona fide redundancy payment for the purposes of section 27F of the Income Tax Assessment Act 1936 ?
Income tax: genuine redundancy payments
Income tax: can a payment in lieu of notice, on termination of employment, be treated as a bona fide redundancy payment?
Income tax: is a redundancy payment from a redundancy trust, established based on the Building Industry Agreement of 1 October 1987, considered to be a bona fide redundancy payment under section 27F of the Income Tax Assessment Act 1936?
Income tax: under an employee share acquisition scheme, an employee is allotted partly paid shares which are subject to a restriction on disposal in terms of subsection 26AAC(15). Several years later, the employee is made redundant and pays the balance of the issue price of the shares so that the restriction on disposal ceases. Is any 'excess' of the market value of the shares (at the time the restriction ceases) over their cost of acquisition treated concessionally as an eligible termination payment?
Income tax: approved early retirement scheme and bona fide redundancy payments