ATO ID 2012/32 and legislation in relation to reserves

Size: px
Start display at page:

Download "ATO ID 2012/32 and legislation in relation to reserves"

Transcription

1

2 ATO ID 2012/32 and legislation in relation to reserves Australian Taxation Office Treasury Submission by the Superannuation Committee of the Legal Practice Section of the Law Council of Australia 25 June 2012 GPO Box 1989, Canberra ACT 2601, DX 5719 Canberra 19 Torrens St Braddon ACT 2612 Telephone Facsimile Law Council of Australia Limited ABN

3 The Superannuation Committee is a committee of the Legal Practice Section of the Law Council of Australia. Its objectives include ensuring that the law relating to superannuation is sound, equitable and demonstrably clear. It fulfils this objective in part by making submissions and providing comments on the legal aspects of proposed legislation, circulars, policy papers and other regulatory instruments. Set out below are the Committee's comments in relation to ATO Interpretative Decision 2012/32 released on 4 May 2012 and comments generally on the legislation governing the operation of reserves in superannuation funds. In the Committee's view, the matters raised in the ATO ID have broader implications that are very significant, and demonstrate that this aspect of the legislation requires amendment. The Committee suggests action which it believes the ATO should take pending such amendment, and highlights the areas where amendments are required. 1. ATO ID 2012/32 Excess Contributions Tax: concessional contributions reserves 1.1 Under this ATO ID the issue was whether when determining the amount of a person's concessional contributions under subsection (3) of the Income Tax Assessment Act 1997 (ITAA 97) a self-insurance reserve is a "reserve" for the purpose of sub-regulation (4) of the Income Tax Assessment Regulations 1997 (ITAR). 1.2 In making its decision the ATO confirmed that a self-insurance reserve is a "reserve" for the purpose of sub-regulation (4) of the ITAR. 1.3 This decision is of particular importance to trustees of superannuation funds and their members because the classification of a self-insurance reserve as a reserve for the purpose of sub-regulation (4) means that the payment of insurance benefits from these reserves to members will be counted as concessional contributions of the relevant member where: the amount distributed has not been allocated in a fair and reasonable manner to an account for every member of the fund (or an account of every member of a class of members of the fund); or the benefit paid (together with any other distributions from that reserve for the financial year) is 5% or more of the member s account balance or interest at the time the amount is allocated When an insurance benefit is paid from a self-insurance reserve maintained in a fund to a particular member of the fund such benefit has not been distributed to every member of the class of members who are covered by self-insured benefits offered by the fund. On that basis to the extent that payments of insurance benefits to members are funded from such reserves those payments will always be counted as concessional contributions. This would be the case unless it could be successfully argued that each individual member who is covered by self-insurance is a separate "class" of member for the purpose of the regulations. 1.5 However, even if it could be argued successfully that each member is a separate class, in many instances the insurance benefits paid from a self-insurance reserve will be 5% or more of the member's account and therefore the payment would be deemed to be a concessional contribution in any event. 1.6 The result of this could be catastrophic from a member's perspective as it means that the insurance benefits they are entitled to in a time of need could be subject to excess 1 Section (3) of ITAA 97 and sub-regulation (4) of ITAR ATO ID and legislation in relation to reserved Page 2

4 contributions tax (ECT) of up to 78%. 2 This is particularly likely to be the case where members are in receipt of a self-insured total and permanent disablement (TPD) benefit which are usually large lump sum payments, but could equally apply for self-insured death or temporary disability/income protection benefits. 1.7 As most death and TPD insurance benefits in superannuation are large lump sums it is highly likely that they will be both: 5% or more of a member's account; and more than $25,000, and therefore in excess of the concessional contributions cap applicable to members of all ages from 1 July The Committee is of the view that it could not have been the intention of the Government to impose additional taxes on recipients of insurance benefits merely because their benefits are paid from a self-insurance reserve within a superannuation fund rather than from the proceeds of an external insurance policy. 1.9 It should be noted that the treatment of self-insured benefits in this way puts members of superannuation funds which maintain self-insurance reserves at a distinct disadvantage vis-à-vis members of superannuation funds which provide insurance through an external insurer. The Committee is not aware of any Government policy that would support this differing treatment, which seems inequitable and unjust. Further, it may not be a matter which a member is able to influence or control. The Committee believes that this is an unintended consequence of the legislation relating to reserves which should be urgently reformed Recommendations: The legislation should be amended to make clear that an amount paid by way of a benefit to or in respect of a member, where that amount is sourced from a self insurance reserve, is not taken to be a concessional contribution. Pending amendment of the legislation, the Committee recommends that the ATO should confirm that it will not seek to raise ECT assessments by reason only that insurance benefits have been paid to members from a selfinsurance reserve. The ATO should also confirm that it does not expect that funds which make such payments report amounts sourced from a self insurance reserve as contributions With respect to ATO ID 2012/32, it was concluded by the ATO that the payments from the self-insurance reserve "to a member's account" were payments from a "reserve" for the purpose of sub-regulation (4) of the ITAR However, under the facts of this ATO ID the only payments made to a member's account were substituted employer and member contributions paid by the trustee during a member's disability to reflect the continuation of contributions that the member and employer were required to pay immediately before the member's disability The remainder of the insured benefits were paid directly to the member from the selfinsurance reserve in accordance with the fund's trust deed. It is stated in the ATO ID that these payments have no effect on the member's account Recommendation: The ATO ID does not appear to address specifically whether payments from the self-insurance reserve directly to members are payments from a reserve for the purpose of sub-regulation (4). The Committee recommends that the ATO review the ATO ID to clarify this specific issue. 2 Section (1) and (1) of ITAA 97 and section 5 of each of Superannuation (Excess Concessional Contributions Tax) Act 2007 and Superannuation (Excess Non-Concessional Contributions Tax) Act ATO ID and legislation in relation to reserved Page 3

5 2. Problems associated with the use of other reserves under the existing legislation 2.1 Presently under the existing legislation, subject to limited exceptions, all amounts distributed from reserves are concessional contributions unless the amount: is allocated in a fair and reasonable manner to the account of every member of the fund (or the account of every member of a class of members of a fund); and together with other distributions from that reserve for the financial year (if any), is less than 5% of the member s account balance or interest at the time the amount is allocated (the General Rule) The General Rule above does not apply in relation to distributions from two reserves being: a contributions reserve; or a pension reserve. 2.3 It is appropriate that both these reserves are exempted from the General Rule as: contributions reserves are essentially suspense accounts which hold contributions pending their allocation to members accounts and therefore distributions from them need to retain the character of the contributions as they were initially made to the fund (i.e. as either concessional or non-concessional contributions); and pension reserves need to be exempted to allow pension payments, commutations and death benefits to be paid without them being characterised as concessional contributions because they are 5% or more of a member's account. 2.4 However there are other types of reserves that in the Committee's view should be exempted from the General Rule, which are as follows: Anti-detriment reserves (i) (ii) (iii) (iv) (v) These are used by many funds to pay out anti-detriment benefits to the eligible dependants of deceased members or their estate. An anti-detriment benefit is an additional payment made by superannuation funds on top of a regular death benefit designed to compensate the recipient for the contributions tax paid by the deceased member during their lifetime. The benefit payable is a lump sum that reflects the extra amount the deceased member would have in his/her account had no contributions tax been paid. To compensate the fund for paying this amount, section of the ITAA 97 allows the trustee a deduction which effectively results in the antidetriment benefit paid being refunded to the fund because of the tax saving. However, the trustee must first make the payment before it can receive the tax deduction. Accordingly for many superannuation funds and particularly SMSFs, where possible, a reserve is used to retain enough monies to fund the payment of the anti-detriment amount until the benefit of the tax deduction can be recovered. In the June 2009 NTLG Superannuation Technical Sub-group Meeting the ATO confirmed that an anti-detriment payment will be regarded as a concessional contribution if the payment is funded from a reserve and is 3 Section (3) of ITAA 97 and sub-regulation (4) of ITAR ATO ID and legislation in relation to reserved Page 4

6 5% or more of the deceased member s account because there is no applicable exception to the General Rule above. (vi) Despite industry lobbying, the ATO confirmed this view again in the March 2010 NTLG Superannuation Technical Sub-group Meeting citing that it was bound to follow the legislation. (vii) As an anti-detriment payment would now usually represent more than 5% of a deceased member s benefit, if the anti-detriment component of the benefit paid is greater than $25,000 (i.e. the concessional contribution cap in all cases from 1 July 2012) ECT of up to 78% would be payable on that component of the benefit. Whilst the anti-detriment reserve issue is more transparent for SMSFs, it is likely that large funds would, due to the inherent timing issues, also be making anti-detriment payments from operational risk or other reserves which should technically be reported as concessional contributions by those funds. (viii) (ix) (x) It is also unclear under the legislation whether an anti-detriment payment from an anti-detriment reserve could ever satisfy the other requirement to avoid it being deemed a concessional contribution i.e. that it be allocated in a fair and reasonable manner to every member of a class of members of the fund. Again it would have to be successfully argued that each individual member who receives an anti-detriment payment from a reserve is a separate "class" of member for the purpose of the regulations, in order to avoid the amount being deemed as a concessional contribution. The Committee does not believe that it is the Government's policy intention that anti-detriment payments should be subject to additional taxes in the form of ECT. Such an imposition would seem to defeat the purpose of allowing for anti-detriment payments. Expense reserves (i) (ii) (iii) (iv) These are reserves used by a large number of industry superannuation funds which hold amounts set aside to pay for the administration of the fund, including accounting and legal fees, investment management fees, insurance and other expenses. (See the Committee s comments in section 4 below as to whether these are in fact "reserves" for superannuation law and/or tax purposes.) Often these reserves are comprised of amounts that have been charged as administration fees to members' accounts. At various times it may be decided to return excess amounts from these reserves to members. In fact, APRA and ASIC state that any excess over an appropriate amount acquired for the purpose of a reserve should be allocated back to members. 4 It would seem unjust that the return of excess amounts from these reserves would be counted as concessional contributions because they were 5% or more of a member's account. It should be noted that under the existing legislation the return of any excess amounts would be more likely to cause an adverse tax impact on members with small balances than large balances as the amounts returned to a member with a small account balance will more easily constitute 5% or more of their account. This in 4 APRA and ASIC, Unit Pricing Guide to Good Practice, November 2005, page 74; APRA Draft Prudential Practice Guide SPG 235: Use of Reserves in Superannuation Funds, paragraph 12 ATO ID and legislation in relation to reserved Page 5

7 turn could lead to an ECT assessment. Such a result appears harsh and unintended. (v) (vi) There is also the requirement that an allocation from an expense reserve be made in a "fair and reasonable manner" to avoid it being deemed as a concessional contribution. The Explanatory Statement (ES) to the Income Tax Assessment Regulations 2007 (No. 3) which introduced the regulation states: In determining what is fair and reasonable it is necessary to have regard to members proportionate interests in the superannuation plan. It would ordinarily be expected that the allocation would be in proportion to the existing interests of the members so that particular members are not favoured over others. (vii) The ATO considered this excerpt from the ES in the NTLG Superannuation Technical Sub-Group Meeting of 8 September 2009 when considering reserves and concluded that: To be fair and reasonable the Tax Office considers that the allocation of an amount from a reserve should be allocated to each member s interest in proportion to that interest in the superannuation fund. 5 The ATO further stated that APRA agreed with this view on the matter. (viii) (ix) (x) However, in the case of allocations from an expense reserve, if a trustee allocates amounts in proportion to a member s interest, as apparently required by the ATO (and APRA), this would lead to an unfair result where members are in many cases charged a flat dollar administration fee. For example, consider a circumstance in which one member has a $1 million account and another member has a $100,000 account, but the trustee has charged $1000 to each of them over 10 years in administration fees in order to administer the fund. In fairness, they should both receive the same amount distributed from any surplus from the expense reserve (where this comprises amounts derived from administration fees) and not receive a distribution based on the size of their respective accounts. The requirement to distribute from an expense reserve in proportion to a member's account to avoid a concessional contribution being deemed is clearly not satisfactory in this situation. (c) Operational risk reserves (i) (ii) (iii) An operational risk reserve is often maintained by industry superannuation funds to meet the costs of any operational errors that are not otherwise recoverable from third parties or under insurance coverage. Under the new Draft Prudential Standard SPS 114 Operational Risk Financial Requirement, utilising an operational risk reserve is required by APRA as one of the means by which funds can meet the proposed Operational Risk Financial Requirement being introduced under the Stronger Super reforms. However, under the existing legislation, any distribution from this reserve to a member s account to compensate them for any operational errors will be 5 Minutes of NTLG Superannuation Technical Sub-Group Meeting, 8 September 2009 ATO ID and legislation in relation to reserved Page 6

8 deemed to be a concessional contribution if it is 5% or more of the relevant member's account balance. This may result in the relevant member being subject to ECT of up to 78%. (iv) (v) Again, the Committee points out that this is more likely to affect members with small account balances than large account balances. Additionally, similar to the position above with respect to expense reserves, the ATO's view as to what would be a fair and reasonable distribution from such a reserve needs to take account of the fact that compensation in respect of errors may require payment of a flat dollar amount to each member (or payment determined in some way other than in proportion to members' interests). In such circumstances it would be unfair to deem these distributions as concessional contributions simply because they are not in proportion to a member's account. 2.5 Recommendation: On the basis of the above, the Committee recommends that the ATO should confirm: (d) (e) that a fair and reasonable allocation from a reserve need not be one paid in proportion to a member's account balance; and that an allocation from an anti-detriment reserve will not be taken to be a concessional contribution. If necessary, the legislation should be amended to achieve this result. 3. Issues with the legislation governing contributions reserves 3.1 Whilst contributions reserves are not subject to the problems mentioned above, the Committee notes that despite the ATO s position the current legislation with respect to contributions reserves is anomalous. 3.2 The interaction between the ITAA 97 and the ITAR operates such that a contribution paid into a contributions reserve and then allocated to a member's account is counted as a concessional contribution twice: firstly, when the contribution is received by the superannuation fund in respect to the member (section (2) of ITAA 97); and secondly, when the amount is allocated from the contributions reserve to the member's account (section (3) of ITAA 97 and regulation (2) of the ITAR). 3.3 To deal with this issue, the ATO has released ATO ID 2012/16 to confirm that, despite the legislation, contributions which pass through a contributions reserve will be counted as a concessional contribution only once being at the time of the allocation from the reserve to the member s account subject to the allocation being made within the time limit stipulated in Division 7.2 of the Superannuation Industry (Supervision) Regulations 1994 (SISR). 3.4 This decision was stated to be based on case law which indicates that unless there is a clear intention to tax an amount twice, an interpretation should be adopted which avoids double taxing. 6 (In this regard the Committee notes that for allocations from the expense reserve and operational risk reserve there is also a double taxing effect, given that amounts used to build those reserves will have already been subject to 15% income tax on assessable contributions and earnings.) 6 Dixon J in Executor Trustee and Agency Company of South Australia Ltd v Federal Commissioner of Taxation (1932) 48 CLR 26 ATO ID and legislation in relation to reserved Page 7

9 3.5 The same problem also exists for non-concessional contributions where the legislation also counts a non-concessional contribution that passes through a contributions reserve twice towards the non-concessional contributions cap Whilst the ES to the Income Tax Assessment Regulations 2007 (No. 3) which introduced the relevant regulations indicates an intention that contributions that pass through a contributions reserve only count towards the relevant contributions cap once, this is not apparent from the legislation itself. 3.7 The Committee also considers that the treatment of a contribution which passes through a contributions reserve as only counting towards a contributions cap at the time it is allocated to a member's account is consistent with section 1017E of the Corporations Act 2001 and regulation C of the Corporations Regulations 2001 which indicate that such amounts are held on a separate statutory trust until allocated to a member's account. 3.8 Recommendation: On the basis of the above, the Committee recommends that the legislation be amended to ensure that it indicates clearly and unequivocally that contributions which pass through a contributions reserve will only be counted towards a member's contribution cap once, provided the allocation from the reserve is made within the time limit stipulated in Division 7.2 of the SISR. The Committee queries whether this is simply a technical amendment that might be sought through TIES? 4. Problems caused by the absence of a definition of a "reserve" 4.1 Given the potential ECT problems associated with distributions from reserves it is very important that superannuation funds be able to identify and ascertain what accounts constitute a reserve. 4.2 However, there is no definition of the term reserve in any of the Superannuation Industry Supervision Act 1993 (SISA), the ITAA 97 or the ITAR, despite the term being used in both the superannuation and tax legislation. 4.3 The SIS Regulations do provide a definition of a reserve, but the definition is not of assistance because it simply refers back to reserves maintained under section 115 of the SISA and does not provide any guidance as to the characteristics of a reserve. 4.4 Compounding this issue is the fact that there is no clear and consistent guidance from the regulators as to the meaning of the term reserve. 4.5 APRA explicitly acknowledges that there is no definition of a reserve in Draft Prudential Practice Guide SPG 235 Use of Reserves in Superannuation Funds (draft SPG 235). It states that in the absence of a definition reserves in superannuation funds can be regarded as moneys which form part of the net assets of a fund and which have been set aside for a clearly stated purpose. 4.6 They add while reserves are moneys that have not been allocated to members not all unallocated moneys constitute reserves. According to APRA, accounting constructs such as suspense accounts used to record contributions and roll-overs pending their allocation to members are not reserves. 4.7 This directly contradicts the ATO's position under ATO ID 2012/32 that such accounts are reserves. 4.8 The Law Council notes that such accounts are as described as being reserves in the ES to the Income Tax Assessment Regulations 2007 (No. 3). 7 Refer to the interaction of section (4) of ITAA 97 with regulation (2) of the ITAR ATO ID and legislation in relation to reserved Page 8

10 4.9 APRA also states in draft SPG 235 that provisions for administration expenses, tax, management and service provider fees should not be regarded as constituting reserves, as such accrued costs and expenses are liabilities arising from past events APRA and ASIC in their paper Unit Pricing Guide to Good Practice further discuss the meaning of a reserve in which they state: " A reserve is an amount held separately to deal with various contingencies arising during the operation of the fund. A reserve is not the same as a provision which is an amount set aside to meet specific obligations of the fund such as provisions for fee and tax payments." This distinction between a reserve and provision therefore remains nebulous and the ATO takes a much broader view of what constitutes a reserve In Superannuation Contributions Ruling SCR 1999/1 the Commissioner effectively deemed any unallocated amounts to be reserves and indicated that such amounts are the excess of the net market value of assets over the total of member s accounts at a particular date Further, in the recently released ATO ID 2012/32 it is stated that: "In the Commissioner's view 'reserve' as used in regulation of the ITAR 1997 should be given a broad meaning to maintain the integrity of the contributions caps." However the ATO ID failed to indicate a precise scope for the meaning of the term "reserve" notwithstanding some references to relevant case law Recommendation: Due to the inconsistent approach between the regulators and general industry uncertainty over the issue, the Committee recommends that the legislation be amended to introduce a specific definition of "reserve" so that trustees and taxpayers have a clear understanding as to when allocations may be at risk of being deemed concessional contributions. The Superannuation Committee of the Law Council of Australia would welcome the opportunity to discuss any of the above issues further with either Treasury or the ATO. At first instance, please contact the Chair of the Superannuation Committee, Heather Gray, on (03) , heather.gray@dlapiper.com 8 APRA and ASIC, Unit Pricing Guide to Good Practice, November 2005, page 72 ATO ID and legislation in relation to reserved Page 9

11 Attachment A: Profile of the Law Council of Australia The Law Council of Australia exists to represent the legal profession at the national level, to speak on behalf of its constituent bodies on national issues, and to promote the administration of justice, access to justice and general improvement of the law. The Law Council advises governments, courts and federal agencies on ways in which the law and the justice system can be improved for the benefit of the community. The Law Council also represents the Australian legal profession overseas, and maintains close relationships with legal professional bodies throughout the world. The Law Council was established in 1933, and represents 16 Australian State and Territory law societies and bar associations and the Large Law Firm Group, which are known collectively as the Council s constituent bodies. The Law Council s constituent bodies are: Australian Capital Bar Association Australian Capital Territory Law Society Bar Association of Queensland Inc Law Institute of Victoria Law Society of New South Wales Law Society of South Australia Law Society of Tasmania Law Society Northern Territory Law Society of Western Australia New South Wales Bar Association Northern Territory Bar Association Queensland Law Society South Australian Bar Association Tasmanian Independent Bar The Large Law Firm Group (LLFG) The Victorian Bar Inc Western Australian Bar Association Through this representation, the Law Council effectively acts on behalf of approximately 56,000 lawyers across Australia. The Law Council is governed by a board of 17 Directors one from each of the constituent bodies and six elected Executives. The Directors meet quarterly to set objectives, policy and priorities for the Law Council. Between the meetings of Directors, policies and governance responsibility for the Law Council is exercised by the elected Executive, led by the President who serves a 12 month term. The Council s six Executive are nominated and elected by the board of Directors. Members of the 2012 Executive are: Ms Catherine Gale, President Mr Joe Catanzariti, President-Elect Mr Michael Colbran QC, Treasurer Mr Duncan McConnel, Executive Member Ms Leanne Topfer, Executive Member Mr Stuart Westgarth, Executive Member The Secretariat serves the Law Council nationally and is based in Canberra. ATO ID and legislation in relation to reserved Page 10

Inquiry into Schedule 2 of the Veterans Affairs Legislation Amendment (2015 Budget Measures) Bill 2015

Inquiry into Schedule 2 of the Veterans Affairs Legislation Amendment (2015 Budget Measures) Bill 2015 Inquiry into Schedule 2 of the Veterans Affairs Legislation Amendment (2015 Budget Measures) Bill 2015 Senate Foreign Affairs, Defence and Trade Legislation Committee 16 September 2015 GPO Box 1989, Canberra

More information

A superannuation fund that satisfied each of these requirements is then listed on HRMC's QROPs register.

A superannuation fund that satisfied each of these requirements is then listed on HRMC's QROPs register. 16 June 2015 Mr Robert Corton Her Majesty's Revenue and Customs Pension Scheme Services Fitzroy House Castle Meadow Road Nottingham NG2 1BD United Kingdom By email : regulations.qrops@hmrc.gsi.gov.uk Dear

More information

In a nutshell... From Issue 52, 2010-11 of Superannuation Quarterly, dated March 2011. ...the full article follows. Tax deductions for SMSFs

In a nutshell... From Issue 52, 2010-11 of Superannuation Quarterly, dated March 2011. ...the full article follows. Tax deductions for SMSFs From Issue 52, 2010-11 of Superannuation Quarterly, dated March 2011 In a nutshell... Tax deductions for SMSFs This article looks at various tax deductions that are available to a complying Self Managed

More information

Supplementary Information Disability Discrimination and Other Human Rights Legislation Amendment Bill

Supplementary Information Disability Discrimination and Other Human Rights Legislation Amendment Bill Supplementary Information Disability Discrimination and Other Human Rights Legislation Amendment Bill Senate Legal and Constitutional Affairs Committee 9 February 2009 GPO Box 1989, Canberra ACT 2601,

More information

Resolving Disputes without Courts commentary from Law Council of Australia

Resolving Disputes without Courts commentary from Law Council of Australia Australian Centre for Justice Innovation Civil Justice Research Online Access to Justice 6-22-2012 Resolving Disputes without Courts commentary from Law Council of Australia Stasia Tan Law Council of Australia

More information

The Committee would welcome the opportunity to discuss the submission further. In the first instance, please contact:

The Committee would welcome the opportunity to discuss the submission further. In the first instance, please contact: 31 March 2014 Financial System Inquiry GPO Box 89 SYDNEY NSW 2001 By email: fsi@fsi.gov.au Dear Sir / Madam Financial System Inquiry The Law Council of Australia welcomes the opportunity to respond to

More information

Binding Death Benefit Nominations and Reversionary Pensions

Binding Death Benefit Nominations and Reversionary Pensions fit Pensions The Eighth Annual Estate Planning Conference Television Education Network Friday, 21 March 2014 Written and presented by: Phil Broderick Principal Sladen Legal Reference: 1PJB:21302413 SLADEN

More information

How super is taxed. About this document. Tax on concessional contributions. Concessional contribution tax rates from 1 July 2015:

How super is taxed. About this document. Tax on concessional contributions. Concessional contribution tax rates from 1 July 2015: How super is taxed Date of issue: 1 July 2015 mtaasuper.com.audate Phone: 1300December 362 415 2014 Fax: 1300 365 142 of issue: The information in this document forms part of the Product Disclosure Statement

More information

The General Manager Business Tax Division The Treasury Langton Crescent PARKES ACT 2600. Dear Sir/Madam. Tax Agent Services Bill

The General Manager Business Tax Division The Treasury Langton Crescent PARKES ACT 2600. Dear Sir/Madam. Tax Agent Services Bill The General Manager Business Tax Division The Treasury Langton Crescent PARKES ACT 2600 Financial Planning Association of Australia Limited ABN 62 054 174 453 Level 4, 75 Castlereagh Street Sydney NSW

More information

Review of Chapter 2 Model Criminal Code

Review of Chapter 2 Model Criminal Code Review of Chapter 2 Model Criminal Code To Attorney-General s Department 23 March 2012 GPO Box 1989, Canberra ACT 2601, DX 5719 Canberra 19 Torrens St Braddon ACT 2612 Telephone +61 2 6246 3788 Facsimile

More information

The sole purpose test

The sole purpose test In this issue: SMSFs and insurance : the new landscape where property and borrowing are involved In recent years 1, we have seen substantial growth in the number of SMSF trustees entering into limited

More information

DRAFT September 2012. These instructions assist completion of Reporting Form SRF 161.0 Self-Insurance (SRF 161.0).

DRAFT September 2012. These instructions assist completion of Reporting Form SRF 161.0 Self-Insurance (SRF 161.0). Reporting Form SRF 161.0 Self-Insurance Instructions DRAFT September 2012 These instructions assist completion of Reporting Form SRF 161.0 Self-Insurance (SRF 161.0). SRF 161.0 collects information on

More information

Safety, Rehabilitation and Compensation Act Review

Safety, Rehabilitation and Compensation Act Review Safety, Rehabilitation and Compensation Act Review Department of Education, Employment and Workplace Relations Submission by the Personal Injuries and Compensation Committee, Legal Practice Section, and

More information

Taxation Laws Amendment (Structured Settlements) Bill 2002

Taxation Laws Amendment (Structured Settlements) Bill 2002 INFORMATION, ANALYSIS AND ADVICE FOR THE PARLIAMENT INFORMATION AND RESEARCH SERVICES Bills Digest No. 20 2002 03 Taxation Laws Amendment (Structured Settlements) Bill 2002 DEPARTMENT OF THE PARLIAMENTARY

More information

A Financial Planning Technical Guide

A Financial Planning Technical Guide Self Managed Superannuation Funds A Financial Planning Technical Guide Securitor Financial Group Limited ABN 48 009 189 495 AFSL 240687 Contents What is a self managed superannuation fund (SMSF)? 1 What

More information

Major Reasons for a Self Managed Superannuation Fund ( SMSF ) Trustee(s) Australian Taxation Office ( ATO )

Major Reasons for a Self Managed Superannuation Fund ( SMSF ) Trustee(s) Australian Taxation Office ( ATO ) Major Reasons for a Self Managed Superannuation Fund ( SMSF ) # Members control an SMSF and (subject to sole purpose test and other restrictions of Australian law) can choose investments (including own

More information

SALARY PACKAGING SUPERANNUATION GUIDE TO EMPLOYEES

SALARY PACKAGING SUPERANNUATION GUIDE TO EMPLOYEES SALARY PACKAGING SUPERANNUATION GUIDE TO EMPLOYEES Superannuation Introducing Salary Packaging Salary packaging has been made available to all staff of the University through the Enterprise Agreement process.

More information

ENTERPRISE SUPER MEMBERS GUIDE. EMPLOYER SPONSORED SUPERANNUATION & PERSONAL SUPERANNUATION Issue Date: 22 June 2012

ENTERPRISE SUPER MEMBERS GUIDE. EMPLOYER SPONSORED SUPERANNUATION & PERSONAL SUPERANNUATION Issue Date: 22 June 2012 ENTERPRISE SUPER EMPLOYER SPONSORED SUPERANNUATION & PERSONAL SUPERANNUATION Issue Date: 22 June 2012 Enterprise Super is a division of General Retirement Plan, ABN 32 894 907 884 PO Box 1282, Albury NSW

More information

Changes to regulatory settings for financial products dealing with longevity

Changes to regulatory settings for financial products dealing with longevity ASFA Research and Resource Centre Changes to regulatory settings for financial products dealing with longevity Ross Clare Director of Research October 2013 ASFA Level 6 66 Clarence Street Sydney NSW 2000

More information

SMSF Contributions Getting Assets into your SMSF

SMSF Contributions Getting Assets into your SMSF Getting Assets into your SMSF Agenda What is a contribution? When is a contribution made? In-Specie transfer of assets Contribution caps Contribution strategies How can we help? What is a Contribution?

More information

Introduction for paying benefits from an SMSF. Paying benefits from a self-managed super fund

Introduction for paying benefits from an SMSF. Paying benefits from a self-managed super fund Introduction for paying benefits from an SMSF Paying benefits from a self-managed super fund NAT 74124-04.2013 Our commitment to you We are committed to providing you with accurate, consistent and clear

More information

In this time of fiscal responsibility, businesses need to. Employee benefits better in super

In this time of fiscal responsibility, businesses need to. Employee benefits better in super 46 Insurance Jeffrey Scott, executive manager, InsuranceTech, CommInsure Jeffrey Scott joined CommInsure in June 2002, and was promoted to his present role of executive manager InsuranceTech, in January

More information

How To Amend Superannuation Regulations

How To Amend Superannuation Regulations ATTACHMENT B EXPLANATORY MEMORANDUM Minute No. of 2012 - Minister for Financial Services and Superannuation Subject - Superannuation Industry (Supervision) Act 1993 Superannuation Industry (Supervision)

More information

IOOF Technical Advice Solutions Client strategies for advisers. Superannuation and death benefits in the Simpler Super environment.

IOOF Technical Advice Solutions Client strategies for advisers. Superannuation and death benefits in the Simpler Super environment. IOOF Technical Advice Solutions Client strategies for advisers Superannuation and death benefits in the Simpler Super environment Adviser use only IOOF Technical Advice Solutions Since 1 July 2007, the

More information

INQUIRY INTO THE SAME-SEX RELATIONSHIPS (EQUAL TREATMENT IN COMMONWEALTH LAWS SUPERANNUATION) BILL 2008

INQUIRY INTO THE SAME-SEX RELATIONSHIPS (EQUAL TREATMENT IN COMMONWEALTH LAWS SUPERANNUATION) BILL 2008 Peter Hallahan Committee Secretary Senate Legal and Constitutional Affairs Committee PO Box 6100, Parliament House Canberra ACT 2600 Dear Mr Hallahan, INQUIRY INTO THE SAME-SEX RELATIONSHIPS (EQUAL TREATMENT

More information

Guidance Notes and Circulars

Guidance Notes and Circulars Guidance Notes and Circulars Superannuation Circular No. I.A.1 Contribution and Benefit Accrual Standards for Regulated Superannuation Funds September 2006 www.apra.gov.au Australian Prudential Regulation

More information

Tax deductible superannuation contributions

Tax deductible superannuation contributions Tax deductible superannuation contributions TB 35 TECHNICAL SERVICES ISSUED ON 29 OCTOBER 2014 ADVISER USE ONLY VERSION 1.1 Summary Employers and certain individuals can claim a tax deduction for contributions

More information

Superannuation 2010 2011

Superannuation 2010 2011 RESEARCH PAPER NO. 3, 2010 11 9 September 2010 Superannuation 2010 2011 Leslie Nielson Economics Section Executive summary This paper, updated for the 2010 11 financial year, is designed to provide readers

More information

1. This Reporting Standard is made under section 13 of the Financial Sector (Collection of Data) Act 2001.

1. This Reporting Standard is made under section 13 of the Financial Sector (Collection of Data) Act 2001. Reporting Standard SRS 161.0 Self-Insurance Objective of this Reporting Standard This Reporting Standard sets out the requirements for the provision of information to APRA relating to self-insurance arrangements

More information

SMSF Facts Sheet. July 2015

SMSF Facts Sheet. July 2015 SMSF Facts Sheet July 2015 Key Superannuation Rates and Thresholds - 2015/16 Contributions The tables below contain the amounts of concessional and non-concessional contributions you may make to your superannuation

More information

Death of a Member in an SMSF. Peter Johnson The SMSF Expert TM CST Corporate Solutions Pty Ltd

Death of a Member in an SMSF. Peter Johnson The SMSF Expert TM CST Corporate Solutions Pty Ltd Death of a Member in an SMSF Peter Johnson The SMSF Expert TM CST Corporate Solutions Pty Ltd Outcomes? Death Benefit Nominations Insurance Inside of Super Changing Trustee s etc after death Definition

More information

Self managed superannuation funds. A Financial Planning Technical Guide

Self managed superannuation funds. A Financial Planning Technical Guide Self managed superannuation funds A Financial Planning Technical Guide 2 Self managed superannuation funds What is a self managed 4 superannuation fund (SMSF)? What are the benefits? 4 What are the risks?

More information

AustChoice Super general reference guide (ACH.02)

AustChoice Super general reference guide (ACH.02) AustChoice Super general reference guide (ACH.02) Issued: 28 May 2015 This guide contains important information not included in the AustChoice Super PDS. We recommend you read this entire guide. The information

More information

TECHNICAL NOTE TRANSFERRING US 401K AND IRA ACCOUNTS TO AUSTRALIA

TECHNICAL NOTE TRANSFERRING US 401K AND IRA ACCOUNTS TO AUSTRALIA NetActuary.com.au Retirement Solutions Actuaries TECHNICAL NOTE TRANSFERRING US 401K AND IRA ACCOUNTS TO AUSTRALIA ITEM 1. Introduction and Overview 2. US Fund Withdrawals 3. Types of US Retirement Funds

More information

SMSF Trustee Companion

SMSF Trustee Companion If you are thinking about setting up a SMSF, there are a number of decisions you will need to make regarding the structure, operation and management of your fund. To help you understand the process and

More information

Superannuation death benefits

Superannuation death benefits Last updated: 7 September 2010 Last updated: 1 January 2011 Superannuation death benefits This TapIn Guide looks at the key tax issues relating to superannuation death benefits paid from a complying superannuation

More information

Taxpayers Australia Inc

Taxpayers Australia Inc Taxpayers Australia Inc Superannuation Australia (A wholly owned subsidiary of Taxpayers Australia Inc) Glossary of superannuation terms These terms are commonly used in the superannuation sector. Account-based

More information

2016/17 Budget. 1. Effective Budget Night 7.30pm (AEST) 3 May 2016. 1.1 New lifetime cap for non-concessional superannuation contributions

2016/17 Budget. 1. Effective Budget Night 7.30pm (AEST) 3 May 2016. 1.1 New lifetime cap for non-concessional superannuation contributions 2016/17 Budget Superannuation reform changes 1. Effective Budget Night 7.30pm (AEST) 3 May 2016 1.1 New lifetime cap for non-concessional superannuation contributions The government will introduce a $500,000

More information

CLIENT FACT SHEET. If you are under age 65 you may make personal contributions to superannuation on your own behalf.

CLIENT FACT SHEET. If you are under age 65 you may make personal contributions to superannuation on your own behalf. CLIENT FACT SHEET July 2010 Understanding superannuation and superannuation contributions Superannuation is an investment vehicle designed to assist Australians in saving for their retirement. The Government

More information

Your death and disability benefits (Rio Tinto)

Your death and disability benefits (Rio Tinto) Rio Tinto Staff Superannuation Fund Guide 6 22 June 2012 Your death and disability benefits (Rio Tinto) The information in this document forms part of the Product Disclosure Statement for the Rio Tinto

More information

Access to Justice in the Criminal Justice System for People with Disability

Access to Justice in the Criminal Justice System for People with Disability Access to Justice in the Criminal Justice System for People with Disability Australian Human Rights Commission 9 August 2013 GPO Box 1989, Canberra ACT 2601, DX 5719 Canberra 19 Torrens St Braddon ACT

More information

FirstTech. Super guide 2010/11. Adviser use only

FirstTech. Super guide 2010/11. Adviser use only FirstTech Super guide 2010/11 FirstTech was ranked 1st by advisers for Technical Support in the 2010 Wealth Insights Fund Manager Service Survey. This Super guide has been developed to provide you with

More information

AMP Eligible Rollover Fund

AMP Eligible Rollover Fund AMP Eligible Rollover Fund Fact sheet Issued 30 June 2014 Issued by AMP Superannuation Limited ABN 31 008 414 104, AFSL No. 233060, the Trustee of AMP Eligible Rollover Fund ABN 32 931 224 407. Registered

More information

General reference guide

General reference guide General reference guide (TPS.01) Issued: 1 July 2015 The Portfolio Service Super Essentials The Portfolio Service Superannuation Plan The Portfolio Service Retirement Income Plan This guide contains important

More information

Introduction for paying benefits from an SMSF. Paying benefits from a self-managed super fund

Introduction for paying benefits from an SMSF. Paying benefits from a self-managed super fund Introduction for paying benefits from an SMSF Paying benefits from a self-managed super fund NAT 74124-06.2013 NAT 72579-03.2013 NAT 11032-04.2013 NAT 71923-04.2013 NAT 8107-08.2012 Our commitment to you

More information

Lump sum benefit payment request for your superannuation or account based pension

Lump sum benefit payment request for your superannuation or account based pension Lump sum benefit payment request for your superannuation or account based pension How to claim a benefit To claim a benefit you will need to complete the attached Benefit Payment Request and send it direct

More information

Paying Superannuation Death Benefits All Australian Funds 1. Lump Sum Member s Deceased Estate 2. Lump sum Dependants

Paying Superannuation Death Benefits All Australian Funds 1. Lump Sum Member s Deceased Estate 2. Lump sum Dependants Paying Superannuation Death Benefits All Australian Funds As a consequence of the sole purpose test (see section 62 of the Superannuation Industry Supervision Act 1993 (the SIS Act ) and the accompanying

More information

QANTAS SUPERANNUATION PLAN Formerly the Qantas Airways Limited Staff Superannuation Plan TRUST DEED AND RULES

QANTAS SUPERANNUATION PLAN Formerly the Qantas Airways Limited Staff Superannuation Plan TRUST DEED AND RULES Trust Deed QANTAS SUPERANNUATION PLAN Formerly the Qantas Airways Limited Staff Superannuation Plan TRUST DEED AND RULES Please note that the Trust Deed is a legal document. A detailed knowledge of superannuation

More information

Atwood Oceanics Australia Superannuation Plan sub-plan of The Executive Superannuation Fund

Atwood Oceanics Australia Superannuation Plan sub-plan of The Executive Superannuation Fund Atwood Oceanics Australia Superannuation Plan sub-plan of The Executive Superannuation Fund ACCUMULATION DIVISION INCORPORATED INFORMATION Prepared: 11 September 2012 The issuer and Trustee of the Atwood

More information

AUSTRALIAN PRUDENTIAL REGULATION AUTHORITY SUPERANNUATION CIRCULAR NO. III.E.1 REGULATION OF SMALL APRA FUNDS

AUSTRALIAN PRUDENTIAL REGULATION AUTHORITY SUPERANNUATION CIRCULAR NO. III.E.1 REGULATION OF SMALL APRA FUNDS AUSTRALIAN PRUDENTIAL REGULATION AUTHORITY SUPERANNUATION CIRCULAR NO. III.E.1 REGULATION OF SMALL APRA FUNDS DECEMBER 2000 2 DISCLAIMER AND COPYRIGHT NOTICE 1. The purpose of this Circular is to provide

More information

Family law and superannuation

Family law and superannuation Family law and superannuation Fact sheet This fact sheet looks at the process of splitting a superannuation benefit under the family law process and the types of benefits that may be affected, including

More information

Lifeplan NextGen Investments

Lifeplan NextGen Investments Lifeplan NextGen Investments Essential Guide to Investment Bonds Adviser Use Only Everything you wanted to know about Lifeplan NextGen Investments. March 2014. Is the PDS FoFA compliant? The Lifeplan NextGen

More information

Member guide. Superannuation and Personal Super Plan. The information in this document forms part of the Hostplus Product Disclosure Statement issued

Member guide. Superannuation and Personal Super Plan. The information in this document forms part of the Hostplus Product Disclosure Statement issued Member guide. Superannuation and Personal Super Plan Product Disclosure Statement The information in this document forms part of the Hostplus Product Disclosure Statement issued Section 7. How super is

More information

Superannuation. A Financial Planning Technical Guide

Superannuation. A Financial Planning Technical Guide Superannuation A Financial Planning Technical Guide 2 Superannuation Contents Superannuation overview 4 Superannuation contributions 4 Superannuation taxation 7 Preservation 9 Beneficiary nomination 9

More information

SMSF Updates. Maureen Allan August 2014. Ph: 03 9690 5700 Fax: 03 9690 6509 Email: mallen@morrows.com.au Website: www.morrows.com.

SMSF Updates. Maureen Allan August 2014. Ph: 03 9690 5700 Fax: 03 9690 6509 Email: mallen@morrows.com.au Website: www.morrows.com. SMSF Updates Maureen Allan August 2014 Ph: 03 9690 5700 Fax: 03 9690 6509 Email: mallen@morrows.com.au Website: www.morrows.com.au What we will cover SMSF Updates Contributions Changes to annual contribution

More information

How super is taxed. VicSuper FutureSaver Member Guide

How super is taxed. VicSuper FutureSaver Member Guide How super is taxed VicSuper FutureSaver Member Guide Date prepared 1 July 2015 The information in this document forms part of the VicSuper FutureSaver Product Disclosure Statement (PDS) dated 1 July 2015.

More information

ASPECTS OF FINANCIAL PLANNING. Taxation implications of overseas residency. July 2012

ASPECTS OF FINANCIAL PLANNING. Taxation implications of overseas residency. July 2012 ASPECTS OF FINANCIAL PLANNING Taxation implications of More and more of our clients are being given the opportunity to live and work overseas. Before you make the move, it is worthwhile considering the

More information

Setting up a self-managed super fund

Setting up a self-managed super fund Introduction for people setting up an SMSF Setting up a self-managed super fund What you need to know to set up a self managed super fund NAT 71923-11.2013 NAT 72579-03.2013 NAT 71454 03.2013 COVER ICON

More information

Governance working group

Governance working group Governance working group Issues paper on trustee and director duties March 2011 PROPOSED REFORM The Government s response to recommendation 2.1 of the Super System Review included in principle support

More information

Superannuation Tips and Traps. Kim Guest / Tim Sanderson March 2014

Superannuation Tips and Traps. Kim Guest / Tim Sanderson March 2014 Superannuation Tips and Traps Kim Guest / Tim Sanderson March 2014 Disclaimer This presentation is given by a representative of Colonial First State Investments Limited AFS Licence 232468, ABN 98 002 348

More information

Division 293 Tax Recommendations to reduce compliance costs for defined benefit funds

Division 293 Tax Recommendations to reduce compliance costs for defined benefit funds 30 September 2014 Senator The Hon. Mathias Cormann Minister for Finance & Acting Assistant Treasurer PO Box 6100 Parliament House Canberra ACT 2600 Dear Senator Cormann Division 293 Tax Recommendations

More information

Review of retirement income stream regulation

Review of retirement income stream regulation Review of retirement income stream regulation Submission by UniSuper About UniSuper UniSuper is the superannuation fund dedicated to people working in Australia's higher education and research sectors.

More information

Super taxes, caps, payments, thresholds and rebates

Super taxes, caps, payments, thresholds and rebates Fact Sheet Super taxes, caps, payments, thresholds and rebates This fact sheet provides a useful one-stop reference guide to the tax rates, caps, thresholds and rebates that apply or are related to superannuation

More information

How Family Law may affect your superannuation, life insurance and other investments

How Family Law may affect your superannuation, life insurance and other investments How Family Law may affect your superannuation, life insurance and other investments Issue Date 17 December 2004 Throughout this guide: REFERENCE TO: we or us member spouse non-member spouse owner spouse

More information

Your Super Guide. Product Disclosure Statement 15 December 2014 Nestlé Super Insured Accumulation category. Contents. Important Information

Your Super Guide. Product Disclosure Statement 15 December 2014 Nestlé Super Insured Accumulation category. Contents. Important Information Australia Group Superannuation Fund Your Super Guide Product Disclosure Statement 15 December 2014 Nestlé Super Insured Accumulation category Contents 1 About Nestlé Super p2 2 How super works p2 3 Benefits

More information

For example consider John and Anne who purchase a property in their SMSF. Their balance sheet would like something like this:

For example consider John and Anne who purchase a property in their SMSF. Their balance sheet would like something like this: Cross-insurance in an SMSF By Krishna Skandakumar, Lawyer and Dan Butler, Director, DBA Lawyers Traditionally, SMSF trustees have insured their members under a self-insurance model. This involves the SMSF

More information

RBF family law. This brochure covers the treatment of your RBF super for family law purposes. Contents Introduction

RBF family law. This brochure covers the treatment of your RBF super for family law purposes. Contents Introduction RBF family law This brochure covers the treatment of your RBF super for family law purposes Contents Introduction 2 If a couple separates or divorces must super be split? Can all super be split? Who can

More information

THE TAX INSTITUTE. Tax Rates Table 2013-14

THE TAX INSTITUTE. Tax Rates Table 2013-14 THE TAX INSTITUTE Tax Rates Table 2013-14 taxinstitute.com.au Individual income tax rates Residents 2012-13 2013-14 Taxable income Marginal rate Tax on this income $0 $18,200 Nil Nil $18,201 $37,000 19%

More information

Your death and disability benefits (Personal Members)

Your death and disability benefits (Personal Members) Rio Tinto Staff Superannuation Fund Guide 7 Your death and disability benefits (Personal Members) The information in this document forms part of the following Product Disclosure Statements for the Rio

More information

2014/15 Key Superannuation Rates and Thresholds

2014/15 Key Superannuation Rates and Thresholds 2014/15 Key Superannuation Rates and Thresholds These are the key rates and thresholds that apply in relation to superannuation contributions and benefits, superannuation guarantee and co-contributions.

More information

State Super retirement FuND

State Super retirement FuND State Super retirement FuND Additional Information Booklet Date of Issue 20 January 2015 State Super Financial Services Australia Limited ABN 86 003 742 756 Australian Financial Services Licence No. 238430

More information

AUSTRALIAN PRUDENTIAL REGULATION AUTHORITY SUPERANNUATION CIRCULAR NO I.C.4 EQUIVALENT RIGHTS FOR MEMBERS IN SUCCESSOR FUND TRANSFERS

AUSTRALIAN PRUDENTIAL REGULATION AUTHORITY SUPERANNUATION CIRCULAR NO I.C.4 EQUIVALENT RIGHTS FOR MEMBERS IN SUCCESSOR FUND TRANSFERS AUSTRALIAN PRUDENTIAL REGULATION AUTHORITY SUPERANNUATION CIRCULAR NO I.C.4 EQUIVALENT RIGHTS FOR MEMBERS IN SUCCESSOR FUND TRANSFERS February 2001 DISCLAIMER AND COPYRIGHT NOTICE 1. The purpose of this

More information

Westpac Guaranteed Income Plan Policy Document

Westpac Guaranteed Income Plan Policy Document Westpac Guaranteed Income Plan Policy Document This document sets out the terms and conditions of your Policy. Please contact our Customer Relations Centre on 131 817 if you have any questions on this

More information

AUSTRALIAN PRUDENTIAL REGULATION AUTHORITY SUPERANNUATION CIRCULAR NO III.A.6 WINDING-UP A SUPERANNUATION FUND

AUSTRALIAN PRUDENTIAL REGULATION AUTHORITY SUPERANNUATION CIRCULAR NO III.A.6 WINDING-UP A SUPERANNUATION FUND AUSTRALIAN PRUDENTIAL REGULATION AUTHORITY SUPERANNUATION CIRCULAR NO III.A.6 WINDING-UP A SUPERANNUATION FUND April 2002 2 DISCLAIMER AND COPYRIGHT NOTICE 1. The purpose of this Circular is to provide

More information

Legal Practitioners and the Tax Agent Services Act 2009 (Act)

Legal Practitioners and the Tax Agent Services Act 2009 (Act) Legal Practitioners and the Tax Agent Services Act 2009 LAW COUNCIL OF AUSTRALIA Legal Practitioners and the Tax Agent Services Act 2009 (Act) With effect from 1 March 2010, the Act, in conjunction with

More information

Key Superannuation Rates and Thresholds

Key Superannuation Rates and Thresholds Key Superannuation Rates and Thresholds Concessional contributions cap Concessional contributions consist of: 1. Employer contributions including salary sacrifice contributions 2. Personal contributions

More information

1. This Reporting Standard is made under section 13 of the Financial Sector (Collection of Data) Act 2001.

1. This Reporting Standard is made under section 13 of the Financial Sector (Collection of Data) Act 2001. Reporting Standard SRS 250.0 Acquired Insurance Objective of this Reporting Standard This Reporting Standard sets out the requirements for the provision of information to APRA relating to acquired insurance

More information

Please note that due to time constraints the submission has not been considered by the Directors of the Law Council of Australia.

Please note that due to time constraints the submission has not been considered by the Directors of the Law Council of Australia. Professor (Emeritus) Sally Walker Secretary-General 20 July 2012 Assistant Secretary Business Law Branch Attorney-General s Department Robert Garran Offices 3-5 National Circuit BARTON ACT 2600 Dear Assistant

More information

PRODUCT DISCLOSURE STATEMENT. 02 9331 8664 admin@nowinfinity.com.au www.nowinfinity.com.au PO BOX 1409 Potts Point NSW 1335 ABN 16 154 927 376

PRODUCT DISCLOSURE STATEMENT. 02 9331 8664 admin@nowinfinity.com.au www.nowinfinity.com.au PO BOX 1409 Potts Point NSW 1335 ABN 16 154 927 376 PRODUCT DISCLOSURE STATEMENT 02 9331 8664 admin@nowinfinity.com.au www.nowinfinity.com.au PO BOX 1409 Potts Point NSW 1335 ABN 16 154 927 376 SMSF Product Disclosure Statement CONTENTS SMSF Product Disclosure

More information

SELF MANAGED SUPERANNUATION

SELF MANAGED SUPERANNUATION SELF MANAGED SUPERANNUATION Position Yourself INFORMATION PACK INFORMATION PACK SELF MANAGED SUPERANNUATION FUNDS SMSF INFORMATION SHEET MAKING THE MOST OF YOUR SUPERANNUATION Self Managed Superannuation

More information

Tax and your CSS benefit

Tax and your CSS benefit CSF27 04/12 Tax and your CSS benefit Who should read this? All contributing CSS members. What is in this fact sheet? > > What should I know up front? > > My benefits in the CSS > > How are contributions

More information

Funding income protection and trauma insurance via superannuation

Funding income protection and trauma insurance via superannuation TB 40 Funding income protection and trauma insurance via Issued on 16 June 2014. Summary The tax concessions available for certain contributions can make it tax effective to fund income protection (salary

More information

SMSFs and Estate Planning. SMSFs and Estate Planning February 2007

SMSFs and Estate Planning. SMSFs and Estate Planning February 2007 SMSFs and Estate Planning Disclaimer Please note that this presentation is to be considered general advice only. The material and the opinions of the presenter should not be relied upon to make decisions.

More information

Super and estate planning

Super and estate planning Booklet 4 Super and estate planning MAStech Smart technical solutions made simple Contents Introduction 01 Introduction 03 Making a start 04 What happens to your superannuation benefits after your death?

More information

Contributions are taxed differently depending on whether you are making contributions to a taxed or untaxed fund.

Contributions are taxed differently depending on whether you are making contributions to a taxed or untaxed fund. Tax and super Issue Date: 1 July 2015 SUP E R ANNUATION The information in this document forms part of the Product Information Booklets for GESB Super and West State Super, each dated 1 July 2015. You

More information

The Chair National Tax Liaison Group (Superannuation Technical Sub-group) Australian Tax Office

The Chair National Tax Liaison Group (Superannuation Technical Sub-group) Australian Tax Office 8 October 2010 The Chair National Tax Liaison Group (Superannuation Technical Sub-group) Australian Tax Office By email: NTLGSPRSubcommittee@ato.gov.au Dear Sir/Madam Non-recourse lending to superannuation

More information

Additional Information Booklet

Additional Information Booklet SuperWrap Additional Information Booklet Dated 1 July 2014 This Additional Information Booklet ( Booklet ) has been prepared by the issuer of SuperWrap: BT Funds Management Limited ABN 63 002 916 458 AFSL

More information

Archaic rule for super funds to be abolished

Archaic rule for super funds to be abolished TaxTalk Insights Financial Services Archaic rule for super funds to be abolished 20 April 2016 Reproduced with the permission of The Tax Institute. This article first appears in Taxation in Australia,

More information

SAMPLE. Professional Indemnity Insurance (PII) Policy 2015/16. lawcover.com.au Page 1

SAMPLE. Professional Indemnity Insurance (PII) Policy 2015/16. lawcover.com.au Page 1 Professional Indemnity Insurance (PII) Policy 2015/16 Lawcover Insurance Pty Limited ABN 15 095 082 509 Level 13, 383 Kent Street Sydney NSW 2000 DX 13013 Sydney Market Street Telephone: 1800 650 748 (02)

More information

Ms Leah Trebilcock Australian Taxation Office Via email: leah.trebilcock@ato.gov.au 25 September 2015

Ms Leah Trebilcock Australian Taxation Office Via email: leah.trebilcock@ato.gov.au 25 September 2015 Ms Leah Trebilcock Australian Taxation Office Via email: leah.trebilcock@ato.gov.au 25 September 2015 Dear Ms Trebilcock Re: Draft PSLA 2005/24 1. The Taxation Committee of the Business Law Section of

More information

KPMG Staff Superannuation Plan Product Disclosure Statement

KPMG Staff Superannuation Plan Product Disclosure Statement KPMG Staff Superannuation Plan Product Disclosure Statement Prepared: 27 June 2014 Things you should know: This Product Disclosure Statement ( PDS ) is a summary of significant information and contains

More information

Issued ₁ July ₂₀₁₅. Member guide. SuperLeader Fact sheet. AMP Corporate Super Registered trademark of AMP Life Limited ABN 84 079 300 379.

Issued ₁ July ₂₀₁₅. Member guide. SuperLeader Fact sheet. AMP Corporate Super Registered trademark of AMP Life Limited ABN 84 079 300 379. Issued ₁ July ₂₀₁₅ Member guide SuperLeader Fact sheet AMP Corporate Super Registered trademark of AMP Life Limited ABN 84 079 300 379. This is a member guide fact sheet for SuperLeader. It is an important

More information

2013 Benefit Statement Notes

2013 Benefit Statement Notes 2013 Benefit Statement Notes At 30 June 2013 Important information The Board of Trustees of the State Public Sector Superannuation Scheme (ABN 32 125 059 006) (QSuper Board) is required to provide you

More information

Gary Lanham Special Counsel

Gary Lanham Special Counsel Gary prepares more than 100 wills annually (including tailored provisions relating to complex testamentary trusts, effective dealings with superannuation death benefits, and other testamentary provisions

More information

Additional Information Booklet

Additional Information Booklet SuperWrap Additional Information Booklet Dated 20 November 2015 This Additional Information Booklet ( Booklet ) has been prepared by the issuer of SuperWrap: BT Funds Management Limited ABN 63 002 916

More information

An Act to re-enact and modernise the law relating to payroll tax; to harmonise payroll tax law with other States; and for other purposes.

An Act to re-enact and modernise the law relating to payroll tax; to harmonise payroll tax law with other States; and for other purposes. Version: 1.7.2013 South Australia Payroll Tax Act 2009 An Act to re-enact and modernise the law relating to payroll tax; to harmonise payroll tax law with other States; and for other purposes. Contents

More information

Chapter 2. The Temporary Budget Repair Levy

Chapter 2. The Temporary Budget Repair Levy Chapter 2 The Temporary Budget Repair Levy 2.1 This chapter discusses the legislation introduced by the package of Temporary Budget Repair Levy (the Levy) bills. 2.2 The committee first gives a brief overview

More information

21 st CENTURY US ACCOUNTING Q&A TRUST

21 st CENTURY US ACCOUNTING Q&A TRUST 21 st CENTURY US ACCOUNTING Q&A TRUST Q. WHAT IS A TRUST? A. A trust is a business structure that requires a trustee, a trust and beneficiaries. The trustee holds property and earns and distributes income

More information

SRF 330.0 must be completed for each RSE, defined benefit RSE, pooled superannuation trust (PST) and eligible rollover fund (ERF).

SRF 330.0 must be completed for each RSE, defined benefit RSE, pooled superannuation trust (PST) and eligible rollover fund (ERF). Reporting Form SRF 330.0 Statement of Financial Performance Instructions These instructions assist completion of Reporting Form SRF 330.0 Statement of Financial Performance (SRF 330.0). SRF 330.0 collects

More information

CommInsure Corporate Insurance. Superannuation Trust. Annual Report 2013

CommInsure Corporate Insurance. Superannuation Trust. Annual Report 2013 CommInsure Corporate Insurance Superannuation Trust Annual Report 2013 Fund CommInsure Corporate Insurance Superannuation Trust ABN 49 968 181 565 R1072457 PO Box 1282 ALBURY NSW 2640 Phone: 1300 767 400

More information