Schedule of Payroll Information
Employee Name | Weekly Wages / Salary | Weekly PayG | Quarterly Wages/Salary |
Quarterly PayG |
Sam | 220 | 49 | 2860 | 637 |
Sarah | 4000 | 1528 | 52000 | 19864 |
Lauren | 1440 | 458 | 18720 | 5954 |
Marty | 5600 | 2280 | 72800 | 29640 |
Paul | 2200 | 755 | 28600 | 9815 |
Payroll Information
Employee Name | Kris | Sam |
Week 1 | 120 | 220 |
Week 2 | 105 | 220 |
Week 3 | 150 | 330 |
Week 4 | 180 | 330 |
Week 5 | 0 | 220 |
Week 6 | 0 | 220 |
Week 7 | 75 | 330 |
Week 8 | 180 | 330 |
Week 9 | 150 | 220 |
Week 10 | 180 | 220 |
Week 11 | 120 | 330 |
Week 12 | 120 | 220 |
Week 13 | 120 | 0 |
Total Wages | 1500 | 3190 |
Superannuation Guarantee Obligations
Employee Name | Super Fund Name | Ordinary time earnings | SG rate | SG Contributions |
Kris | State Super Retirement Fund | 1500 | 9.50% | 142.5 |
Sam | State Super Retirement Fund | 3190 | 9.50% | 303.05 |
Sarah | State Super Retirement Fund | 4000 | 9.50% | 380 |
Lauren | State Super Retirement Fund | 1440 | 9.50% | 136.8 |
Marty | State Super Retirement Fund | 5600 | 9.50% | 532 |
Paul | State Super Retirement Fund | 2200 | 9.50% | 209 |
Toal Employers Contributions | 1703.35 |
Item | Value | Supply Type | Reference/Authority |
GST Input tax Credit ($) |
Assesssable Receipts | 11000 | 1000 | ||
Training Fees | 82698 | Taxable Sales (Supply made in ordinary business course) | Section 9-5 & Section 9-10 | 7518 |
Share of prize money from customers horses | 55000 | Taxable Sales (Supply made in ordinary business course) | Section 9-5 & Section 9-10 | 5000 |
Prize money from Bronny horses | 16500 | Taxable Sales (Supply made in ordinary business course) | Section 9-5 & Section 9-10 | 1500 |
Trophy from Brisbane Cup | 1200 | Taxable Sales (Supply made in ordinary business course) | Section 9-5 & Section 9-10 | 109.09 |
Trade in tractor | 1900 | Taxable Sales (Supply made in ordinary business course) | Section 9-5 & Section 9-10 | 172.73 |
Total Receipts | 157298 | 14299.82 | ||
Expenses Eligible as Deductions |
||||
Horse Feed | 8800 | Input Tax Sales | Section 9-5 | 800 |
Veterinary Fees | 7700 | Input Tax Sales | Section 9-5 | 700 |
Ferrier | 5500 | Input Tax Sales |
(No GST Included) |
|
Accomodation for Staff | 2475 | Input Tax Sales | Section 9-5 | 225 |
Airfares for staff | 5346 | Input Tax Sales | Section 9-5 | 486 |
Bookkeeping services | 2640 | Input Tax Sales | Section 9-5 | 240 |
First Aid courses for staff members | 990 | Input Tax Sales | Section 9-5 | 90 |
Cost of Goods Sold | 4500 | Imported Goods | Section 9-5 | 409 |
Freight | 250 | Imported Goods | Section 9-5 | 23 |
Business loan | 750 |
Input Tax Sales |
||
Total Allowable Deductions | 38951 | 2972.818182 | ||
Net Income from business | 118347 | |||
Total GST Payable |
11327 |
According to the definition of business that is made under the “section 995-1 of the ITAA 1997”, the term business can be referred anything that includes the trade, profession, vocation, employment or calling but does not takes into the consideration the occupation as the employee (Barkoczy 2014). It is vital to determine the ordinary meaning of the word business because of the broader legislation definition. According to “section 6-5 (4)” and “section 6-10 (3), ITAA 1997” a person is assumed to have obtained the sum as and when it is dealt with in anyway on the taxpayer’s behalf or as they direct.
Similarly, the concept of ordinary income is defined under the “section 6-5 of the ITAA 1997”. Usually greater portion of the income that is obtained by the taxpayer is said as the ordinary income (Grange, Jover-Ledesma and Maydew 2014). The judicial concept or the case law approach defines income based on the ordinary concepts. As evident in the case of Brian owns a Bronny Park of horse-racing stable which is registered for GST and reports certain receipts and expenses during the year. As held in “Scott v CT (1935)” the concept of income should not be observed as the term of art and entails the implementation of necessary values to regulate the revenues as earnings in adherence with the ordinary usage of mankind (Sadiq 2014).
As per the Australian Taxation Office, if a business is registered for GST, any products or services which is sold in Australia is usually held as assessable given that it is registered as GST-free input tax. As understood Bronny Park reports the receipts from the training fees during the year ended 2018. The receipts of training fees represent ordinary business receipts and hence will be held as ordinary income under the ordinary meaning of “section 6-5 of the ITAA 1997”.
Bronny Park also reports the receipts from prize money of customer horses. Referring to the ordinary meaning of “section 6-5 of the ITAA 1997” the share of prize money from the client’s horses is an assessable business income that originated from the ordinary business course.
As held in “Moore v Griffiths (1972)” mere prize is not said as income but it should be noted that it may be treated as earnings if there is enough relation with the taxpayer income producing activities (Woellner et al. 2016). Brian reports the receipts of prize money from the Bronny Park horses. The prize money would be included into for assessment purpose because it constitutes an income and has satisfactory relation with the Brian income producing activities.
In the later part of the report it is noticed that Brian reported receipts from the Brisbane cup trophy winnings and receipts from the trade in tractor. The receipts are held as ordinary income within the ordinary meaning of “section 6-5 of the ITAA 1997”, because the earnings are made during the Brian’s ordinary business course.
As defined under the “section 8-1 of the ITAA 1997” an individual tax payer is permitted to an entitlement of deduction from their assessable earnings for any amount of the loss or outgoings that is incurred up to the extent of earning the taxable income or incurred necessarily while carrying on the business with the intention of producing assessable income (Miller and Oats 2016). Brian from its Bronny Park report expenses on horse feed and veterinary fees. According to the decision made in “Ronpibon Tin NL v FCT (1949)” expenditure should be incidental and relevant or should be occurred in the course of gaining or generating the assessable income (Blakelock and King 2017). Evidently in the case of Brian the expenses on horse feed and veterinary fees is incurred in the course of gaining or producing the assessable income.
In the later instances Brian occurred expenditure on farrier and accommodation for its racing staff while conducting race meetings. Referring to the explanation made under the “section 8-1 of the ITAA 1997” these expenditures would be held as allowable tax deduction because the expenses arose at the time of generating the assessable business receipts.
In another instances Brian incurs outgoings on staff airfares for attending the race meetings but unfortunately one of the Brian staff did not turned up for the race meetings and as a result a sum of $1100 of air fares remained unused. The unused amount of staff airfares is subtracted from the airfare expenses while the left over sum is claimed as allowable deduction based on the overall provision of “section 8-1 of the ITAA 1997” (Roe 2017). Brian for its Bronny Park imported leather goods and saddles from Europe that were exclusive of GST. A sum of 10% GST has been charged for importation of saddles and leather goods.
d) As stated by the ATO an individual taxpayer should be registered for GST to claim the GST credits. An individual taxpayer is permitted to claim an entitlement for GST credit for any sum that is contained within the purchase price for the things that is used in the business. This is generally known as the input tax credit or GST credit.
On satisfying the below stated conditions an individual taxpayer is allowed to claim GST credits;
As defined under the “section 11-5 of the ITAA 1997” creditable supplies include the supplies that is acquired completely or partially for the creditable purpose with the supplies forming a part of taxable creditable supply (Burton 2017). In case of Brian items including horse feed, veterinary fees, new tractor, bookkeeping fees, saddles and leather goods imported from Europe would be held as creditable acquisition. The above stated items were acquired totally for the creditable purpose.
OPTION 1: Calculate GST & report quarterly |
SUMMARY |
||||||||
1A |
GST on Sales |
$14,299- |
|||||||
G1 |
Total Sales |
$1,57,298- |
1C |
WET |
$- |
||||
Does G1 include GST |
Yes |
1E |
LCT |
$- |
|||||
G2 |
Export Sales |
$- |
4 |
PAYG Withheld |
$66,235- |
||||
G3 |
Other GST-Free Sales |
$- |
5A |
PAYG income tax instalment |
$16,790- |
||||
G10 |
Capital Purchases |
$- |
6A |
FBT instalment |
$- |
||||
G11 |
Non-capital Purchases |
$- |
7C |
FTC over claim |
$- |
||||
8A |
$- |
||||||||
PAYG tax withheld |
|||||||||
1B |
GST on purchases |
$2973- |
|||||||
W1 |
Total Salary & Wages |
$1,76,540- |
1D |
WET refundable |
$- |
||||
W2 |
Amount Withheld |
$- |
1F |
LCT refundable |
$- |
||||
W4 |
No ABN |
$- |
5B |
PAYG instalment credit |
$- |
||||
W3 |
Other amount |
$- |
6B |
FBT credit |
$- |
||||
W5 |
total amounts withheld |
$- |
7D |
FTC credit |
$- |
||||
8B |
$- |
||||||||
OPTION 1: Pay a PAYG instalment amount quarterly |
|||||||||
PAYMENT OR REFUND |
|||||||||
T7 |
$66,235- |
||||||||
Is 8A more than 8B? |
YES |
||||||||
FBT INSTALMENT |
|||||||||
Your payment amount |
$11,327- |
||||||||
F1 |
$- |
||||||||
F2 |
Est FBT for year |
$2,500- |
|||||||
F3 |
Varied amount payable |
$- |
|||||||
F4 |
Variation Code |
References:
Barkoczy, S. 2014. Foundations of taxation law 2014.
Blakelock, S. and King, P., 2017. Taxation law: The advance of ATO data matching. Proctor, The, 37(6), p.18.
Burton, M., 2017. A Review of Judicial References to the Dictum of Jordan CJ, Expressed in Scott v. Commissioner of Taxation, in Elaborating the Meaning of Income for the Purposes of the Australian Income Tax. J. Austl. Tax’n, 19, p.50.
Grange, J., Jover-Ledesma, G. and Maydew, G. 2014. Principles of business taxation.
Miller, A. and Oats, L., 2016. Principles of international taxation. Bloomsbury Publishing.
Roe, A., 2017. The doctrine of sham in Australian taxation law. AUSTRALIAN TAX REVIEW, 46(2), pp.99-119.
Sadiq, K. 2014. Principles of taxation law 2014.
Woellner, R.H., Barkoczy, S., Murphy, S., Evans, C. and Pinto, D., 2016. Australian taxation law. CCH Australia.
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