Case Study: Calculation of net capital gains or losses.
Tang, R., & Wan, J. (2015). Fringe benefits tax and fly-in fly-out arrangements: John Holland Group Pty Ltd v Commissioner of Taxation.Australian Resources and Energy Law Journal, 34(1), 17.
This assignment is representing consequences and determination of few aspects of income tax liability for individual assesses and company assessee with the help of necessary computations and reasons and evidence thereof, as per the requirements of two case studies. One is related to the determination of capital gain taxable in the hands of an individual asessee Mr. Dave Solomon, while the other one is for fringe benefit tax liability in the hands of the company Periwinkle Pty Limited, assessee.
In the present case, net capital gain or loss as per the Australian Taxation Office Act 97/ 36 is to be determined for the year ended 30th June in the books of assessee Mr. Dave Solomon aged 59 years.
A |
Capital Gain Taxable |
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For the year ended 30 June |
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Particulars |
Amount $ |
Amount $ |
||
(a) |
residence apartment: Long term asset |
|||
Net Realised Value (i) |
850,000.00 |
|||
cost of acquisition |
70,000.00 |
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Add: Indexation |
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(70,000*106.8/37.9) |
197,255.94 |
|||
Indexed cost of acquisition |
267,255.94 |
|||
comission on sale |
15,000.00 |
|||
Total cost incurred (ii) |
282,255.94 |
|||
Net Proceeds (i- ii) |
567,744.06 |
|||
Less: Discount @50% as per Provision contained in ATO Act |
(283,872.03) |
|||
Add: Forfeiture of deposit |
85,000.00 |
|||
Capital gain taxable |
368,872.03 |
|||
(b) |
Painting: Long term asset |
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Sale Proceeds |
125,000.00 |
|||
Cost of Acquisition |
(15,000.00) |
|||
Net Proceeds |
110,000.00 |
|||
Less: Discount @50% as per Provision contained in ATO Act |
(55,000.00) |
|||
Capital gain taxable |
55,000.00 |
|||
(c) |
Motor Cruiser: Long term asset |
|||
Sale Proceeds |
60,000.00 |
|||
Cost of acquisition |
(110,000.00) |
|||
Capital Loss incurred |
(50,000.00) |
|||
(d) |
Shares: Short term asset |
|||
Sale Proceeds |
80,000.00 |
|||
Less: Brokerage on sale |
(750.00) |
|||
Net value realized |
79,250.00 |
|||
Less: Cost incurred- |
||||
Purchase price |
75,000.00 |
|||
Stamp duty |
250.00 |
|||
(74,750.00) |
||||
Short term capital gain taxable |
4,500.00 |
Net capital Gain Taxable in the current year of taxation: |
||||
Particulars |
Amount $ |
Amount $ |
||
capital gain from residence apartment |
368,872.03 |
|||
capital gain from painting |
55,000.00 |
|||
Capital loss from Motor cruiser |
(50,000.00) |
|||
Short term capital gain from shares |
4,500.00 |
|||
Total capital gain taxable incurred in the current year tax |
378,372.03 |
|||
Less: capital loss on sale of shares from previous year |
(10,000.00) |
|||
Net capital gain taxable in the current year |
368,372.03 |
Indexation factor is considered for the year in which the expenditure incurred and in the year in which capital gain taxable event happened. As a matter of fact, residence apartment which was bought my Mr. Dave 30 years back from the current year tax, cost of purchase of which has been increased by the indexation factor. Whereas other assets i.e. painting, motor cruise were acquired on or after 20th September 1985, hence no indexation required (Dore, 2015).
Additionally, as per ITAA rulings on forfeiture of deposits, it has been clarified that any amount in relation to deposits forfeited shall be included for the purpose of Capital gain tax. Thus, a deposit forfeited by Mr. Dave on cancellation of sale of property shall be taxable and no discounted shall be claimed on such amount (McDonald, 2015).
Further, the rulings also clarify the allowance of interest expense as deduction. Any interest expense on loan borrowed for the purpose of buying short term assets does not qualify for deduction. Thus, $5000 interest expense on loan borrowed for purchase of shares is not an allowable deduction (Mcnamara, 2015).
Conclusion:
This assignment has been dealt with the cases of calculation of net capital gains or losses taxable in the hands of individual assesee, Mr. Dave Solomon with the help of explanations to each transaction, which resulted in tax liability on net capital gain taxable value of around $ 368,372. As Mr. Solomon planning to contribute the funds to superannuation fund before the end of current tax year amounted to $1,000,000, he can invest the part of the amount raised by him out of net capital gain raised on sale of assets. Further, in the second case, fringe benefit tax liability valued to $ 43,739 in the hands of company, Periwinkle Pty Ltd which provided various allowance to its employee, Emma during the period 1st May 2015 to 31st March 2016. This, case also presented the deductions, Emma can claim in two different situation while computation of her income tax liability.
Reference List:
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