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| Changes to Australian Capital Tax Rules for Non-Residents by John Marcarian |
| Introduction |
| Recent changes to the Australias capital gains tax regime have made Australia a more attractive jurisdiction in which to invest for many non resident investors. The purpose of this article is to outline the capital gains tax (CGT) and foreign resident measures contained in Australias tax law to provide an overview of the new rules. Further to this, investors transferring land or interests in land rich entities should consider domestic stamp duty implications. The intention of the new rules are as follows:- |
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1. To increase Australias status as an attractive place for business and investment; |
The Old Rules |
| Previously, Australian CGT applied to non-residents on the disposal of assets that were listed as having the "necessary connection with Australia" . These included: |
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Interest in Fixed Trusts |
| The former CGT rules made it unattractive to hold of assets in an Australian resident trust as compared to holding assets (especially, Australian managed funds) directly. The previous CGT rules taxed the gain arising from the disposal of interests in resident trusts and resident unit trusts (where more than 10% of units were held by an individual) even where the assets of the trust did not have the necessary connection with Australia. This issue was partially alleviated by former law which operated to disregard a capital gain or loss arising from the above situation where the following conditions were met: |
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The effect of this provision was to shift the focus onto whether the underlying assets of a fixed trust had the necessary connection with Australia before subjecting a non resident to Australian CGT. Consequently, this afforded the same tax treatment for direct and indirect ownership of CGT assets which did not have the necessary connection with Australia. However, a capital gain or loss for a non portfolio interest in an Australian property trust did not usually qualify for an exemption as property trusts typically hold Australian real property which naturally, had the necessary connection with Australia. |
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