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Legislation
ATO documents that consider ITAA 1936 s D of Division 7A
14 documents
Deemed Dividend: liquidator's loan not treated as a dividend
Deemed dividend: Loan to another company in its capacity as trustee of a unit trust - application of section 109K
Deemed dividend: Loan to another company in its capacity as trustee of a unit trust - loan provider owns all units in the trust - application of section 109K
Deemed dividend: Loan to another company in its capacity as trustee of a discretionary trust - application of section 109K
Interaction between Division 7A of the Income Tax Assessment Act 1936 (ITAA 1936) and Part 2-42 of the Income Tax Assessment Act 1997 (ITAA 1997)
Deemed dividends: written loan agreement - no repayments before the private company's lodgment day for the income year in which the loan is made
Deemed dividend: No FBT on a Division 7A shareholder loan where distributable surplus is nil
Division 7A: Interest component of shortfall in minimum yearly repayment and section 109D of the ITAA 1936
Income tax: If a shareholder borrows from a private company under a clause in the company's constitution setting out the terms on which such loans are to be made, is there a 'written agreement' for the purposes of paragraph 109N(1)(a) of Division 7A of the Income Tax Assessment Act 1936 ?
Deemed dividend: transfer of property from private company to relative of shareholder
Deemed Dividend: no dividend in future year where private company makes a payment and company has nil distributable surplus in year payment made
Deemed dividend: no FBT on a Division 7A shareholder loan where distributable surplus is nil
Deemed dividend - FBT applies to a Division 7A excluded loan
Division 7A: dividend deemed to an interposed entity - effect of section 109T of the ITAA 1936