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COVER: Unpaid present entitlements – a new approach to taxing trust distributions
Published on 01 Mar 10 by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE
Draft Taxation Ruling TR 2009/D8 (Income tax: Division 7A loans: trust entitlements) includes the assertion that an unpaid present entitlement payable by the trustee of a trust in favour of a corporate beneficiary could, in appropriate circumstances, either constitute a loan or be taken to be a loan back to the trustee of the trust for the purposes of Div 7A.
