Title: Payroll Tax Harmonisation
1Pay-roll Tax Harmonisation
- Whats happened so far and lessons learnt
- Presented by
- Office of State Revenue, Queensland,
- Nov 2008
2What is Pay-roll Tax Harmonisation?
- Pay-roll tax harmonisation (PRTH) involved
changes to Queensland's pay-roll tax legislation
to harmonise key aspects of Queenslands pay-roll
tax system with those of other jurisdictions with
effect from 1 July 2008. The changes implemented
measures which are currently in place in New
South Wales and Victoria, who harmonised their
pay-roll tax systems on 1 July 2007. - Altogether, there were approximately 16 changes
affecting taxpayers.
3Todays session
- What we did
- Project planning
- Products
- Statistics
- What clients did
- Government
- Employers
- What we learnt
- Challenges for PRTH Project team
- The future Compliance
4Project planning
- The PRTH project was planned using the Prince2
methodology. - Prince2 is now the preferred method of project
management for most of the Qld government. - A project planning day was held with all key
stakeholders from the office for their input into
the project. - The project planning day was facilitated by a
Prince2 practitioner.
5Prince2 methodology
- Prince2 methodology (PRINCE2 - PRojects IN
Controlled Environments) is a process-based
method for effective project management. - The key features of Prince2 are its
- focus on business justification
- defined organisation structure for the project
management team - product-based planning approach
- emphasis on dividing the project into manageable
and controllable stages - flexibility to be applied at a level appropriate
to the project.
6Product based planning
- Product based planning is a key component to the
planning of a project with Prince2. Products are
assigned quality criteria and are assigned to
positions - e.g. Project manager, business area
manager. - Products are what needs to be completed for a
project to be successful. - For example In order for a cup of tea to be
made, the water has to be boiled. Water boiling
would be considered a product under the Prince2
methodology. - For PRTH, products were identified and assigned
on the project planning day by all the internal
stakeholders. Some of these products will be
discussed today.
7What we did
December 2007
Government Agency target group phone call,
letter, presentation Email alert E-RQ newsletter
Project planning
14th Announcement by Treasurer Website update
January 2008
Presentations Flyers Website update E-RQ
newsletter Liaise with MBA
March
Presentations to peak industry bodies
February
Website update Flyers E-RQ newsletter
May
Peak body presentations MBA, TAPS, NIA,
CPA PRTH go-live Compliance begins
April
Website revamp Flyers E-RQ newsletter Revenue
Rulings adopted
July August
June
Presentations to clients Flyers
September 2008
Develop e-learning tool Continuing client
engagement De-grouping
8Product liaising with other jurisdictions
- Full day liaison meetings with NSW in December
2007 and Vic in January 2008. - NSW Vic met with their various branches
- education both client and internal staff
- client services
- policy
- technical advice.
- As the goal was harmonisation with NSW and Vic
materials already created by these jurisdictions
were adapted and used in Qld.
9Product liaising with other jurisdictions
- On the NSW Vic liaison days, each of the
jurisdictions were able to share with Qld their
experiences. In particular, these jurisdictions
were able to discuss - their problem areas with clients
- what was successful for them
- how they came to agreements between the states.
- The flow on effect of these discussions with NSW
Vic was our ability to implement strategies to
address potential problems and emulate the
successes of the other states. This resulted in a
greater level of efficiency for Qld and
harmonisation amongst the states.
10Product keeping the Treasurer briefed
- As the legislation was revenue neutral, it
received a lot of attention during the debate in
parliament. - Questions were put to the Treasurer during
question time which needed to be answered
immediately. - The implementation time for the project was
considered by some to be quite short. - The Treasurer had to have confidence that
businesses/clients were aware of the upcoming
changes and would be adequately informed in time
for the implementation of the new legislation
needed faith in the project team.
11Product liaising with key industry bodies
- Phone contact made by the Director with
identified key industry bodies. - Held meetings with representatives from key
industry bodies outlined the changes that were
coming up. - Discussed what the industry bodies could/would do
and how they thought it best to interact with
their members our clients. - Industry bodies agreed to send out information
through their own communication channels.
12Product engaging the clients
- The approach taken was a saturation of the
client base no client would be able to say they
werent informed of the changes. - Clients received more than 1 notification,
through various channels, of the changes over a
period of 4 months in the lead up to the change.
13Communication channels
- Clients receive information through various
networks, channels identified for our clients
were - seminars
- paper mail
- website
- electronic channels
- Email alerts
- Electronic Newsletters
- industry bodies
- client visits.
14Seminars
- OSR hosted seminars for businesses over 1000
attendees registered - Held at Brisbane, Gold Coast, Sunshine Coast,
Toowoomba, Bundaberg, Rockhampton, Mackay,
Townsville and Cairns. - OSR hosted seminars for government departments
over 100 attendees registered. - OSR co-hosted seminars for Master Builders
Association over 500 attendees.
15Seminars
- OSR presented for TAPS, NIA, CPA guest
presenters at evening forums and major
conferences over 25 different events reaching
at least 400 registered attendees. - OSR attended as guests for TIA at 2 major
training conference days. - Feedback was sought from attendees at the OSR
hosted seminars. Attendees were asked to rate
and comment on the organisation of the seminar,
the relevance of the information provided and the
effectiveness of delivery. - Feedback was provided through an evaluation form.
90 of feedback received rated the seminars as
excellent or good.
16Paper mail and the website
- Paper mail
- Flyers were mailed out on a monthly basis. Each
flyer contained information on the changes. Over
15,000 flyers each month from February to June
were mailed. - Website
- Created new content and design which would
reflect the upcoming style of the website.
17Electronic channels
- OSR has an email subscription service which
contains around 4000 registered users for
pay-roll tax. As information is received, an
email is sent to registered users providing this
information efficiently and effectively. - You can choose to sign up for just pay-roll tax
information or for all areas administered by OSR. - You can sign up for OSRs e-alerts at the
following address - http//www.osr.qld.gov.au/clients/email_service.sh
tml - OSR produces a monthly electronic newsletter
called E-Revenue Queensland. This newsletter is
used to highlight exciting events in the Office
and provides information about the various
streams administered by OSR.
18What clients did government
- Some government departments implemented new
accounting codes to capture the information they
needed to meet their obligations. - These departments then held internal training
sessions for managers who signed off on the
invoices in question. OSR attended these sessions
as guests and to provide any further
clarification for the managers. - Other government departments identified whether
the changes would have an impact, and if so, the
extent of this impact on their every day
business.
19Meeting government department requirements
- Understanding the specific issues relating to the
implementation of the harmonisation changes for
government departments biggest challenge was
Shared Service Agency and the size of the
government departments. - Attended internal training session.
- Provided separate specific seminars for
government departments. - All government departments were phoned by a
project team member to make them aware of the
impending changes.
20What we learnt
- Further liaising was required with our Compliance
division perhaps a permanent contact who was
part of the project team representing
Compliances view at all times. - Separating the businesses and government
departments was important, as we were able to
specialise in our discussions with each group.
Unique view of government departments versus
businesses was catered for. - The website should have received a high priority
at the beginning of the project. The result of
this could have been reduced workflows as the
project proceeded, as clients would have had a
one stop shop for their needs.
21What we learnt
- The co-ordination of the training for internal
and external clients could have been aligned. - Earlier identification of groups of industries
most likely to be affected by the changes to a
greater degree than other industries. - For example building industry affected,
therefore work closely with Master Builders
Association and Housing Industry Association.
22Challenges
- Education giving out relevant and appropriate
amount of information for clients to be informed
when internal knowledge, processes and procedures
were still being decided upon. - Preparedness ensuring all clients were ready for
the change, as it was a very quick change-over
time period from announcement to implementation.
23Challenges
- Geography the vastness of the Queensland state
made reaching clients on a personal level
difficult. Seminars were held in all major
centres, however, there were still a number of
clients who were not able to be reached through
this effective method. - Disparity of client base Some organisations are
quite large and operate in more than 1 state. The
changes implemented were welcome and easy for
them to integrate into their systems. Other
smaller business operate only in Queensland and
faced new challenges with harmonisation being
implemented.
24Did we meet the challenge?
- Yes! On the whole, reports and responses show
that clients were fully aware of and informed on
the changes that were implemented on 1 July 2008.
25The future where to from here?
- Relationships with the clients and especially
with industry bodies were firmly established
for future changes these contacts will provide a
useful starting point for disseminating
information. - Establishing relationships with industry bodies
provides an external stakeholder for OSR to
consult with on changes or proposed changes to
legislation. - Client Engagement continues creation of the
E-learning tool, launching soon. - Compliance.
26The future compliance
- Background.
- Methodology.
- What is happening currently.
- What will happen moving forward .
27OSRs approach to compliance
- The OSR aims to deliver and administer simple,
efficient and equitable revenue management
services. - One of OSRs key priorities is to position OSR as
a leading e-business agency, with excellent
client support and firm and fair enforcement. -
- OSR will treat clients fairly and respectfully,
and provide information and education services
targeted to client needs. - The OSR Client Charter recognises the need to
conduct compliance and enforcement activities in
cases where clients do not comply.
28The compliance model
- The compliance model is based on the premise that
revenue authorities are able to influence client
behaviour through their interventions and
responses. - The model seeks to address the cause rather than
the symptoms of non-compliance. - The model encompasses education, support
investigation and enforcement as integrated
approaches to client management. - The models core principle is to make compliance
easy for those clients who want to comply, while
using the full force of the law, where
appropriate, for those clients who have decided
not to comply.
29High
Have decided not to comply
Use full force of the law
Don't want to comply
Deter by detection
Help to comply
Try to, but don't always succeed
Level of compliance costs
Willing to do the right thing
Make it easy
Low
Create pressure down
Compliance strategy
Attitude to compliance
30Make it easy to comply/assist to comply
- For those clients who are willing to do the right
thing, OSR aims to make compliance as easy as
possible. - Achieved by providing clients and their advisors
with the information they need, through its
website, direct contact with clients and the
Client Contact Centre. - Education activities are primarily carried out by
the Client Engagement Team.
31Verification, investigation and enforcement
activities
- The focus of the Investigations Program 2008-09
is on the verification, investigation and
enforcement activities carried out by the
Investigations Division. - These activities will generally include
- developing risk profiles for groups of clients,
or particular types of transactions. OSRs
Revenue Risk Register profiles high, medium and
low risks to OSRs revenue base - data matching, identifying inconsistencies,
unreported transactions and other risks through
checking OSR and third party data - auditing clients, and investigating transactions
where risk is identified.
32Compliance activity in relation to PRTH
- The nature of the contact with the client will
depend upon the nature of the risk. Contact will
typically commence with desk audits (letters and
phone calls seeking further information and/or
explanation), and extend to audits and field
investigations, where required. - Pay-roll tax is payable on wages paid or payable
by an employer. - The imposition of pay-roll tax is therefore
generally dependent on establishing the existence
of a master/servant relationship (also called an
employer/employee relationship).
33Compliance activity in relation to PRTH
- The Pay-roll Tax (Harmonisation) Amendment Act
2008 amended the PRT Act in relation to workers
who do not fall within the definition of
employees. From 1 July 2008 pay-roll tax will
also apply to payments in relation to relevant
contracts. - OSR will adopt an educational audit focus for the
first half of the financial year to assist
employers with the relevant contractor
provisions of the PRT Act.
34Compliance activity in relation to PRTH
- For the period 1 July 2008 to 31 December 2008,
where the employer can demonstrate to the
Commissioner in writing that they had difficulty
in complying with the relevant contractor
provisions and satisfy the Commissioner of the
reasons for that difficulty, the Commissioner
will fully remit penalties and UTI (see Practice
Direction Pay-roll Tax - 9.1). - From 1 January 2009, the usual penalty and UTI
provisions will be applied to relevant contractor
arrangements in the manner outlined in Revenue
Ruling - TA1.2 Remission of Unpaid Tax Interest
(UTI) and Revenue Ruling - TA2.2 Penalty Tax.
35Amnesty offered
- An amnesty has been offered to employers on
pay-roll tax and penalties for payments
incorrectly treated as payments to independent
contractors (contractor payments) made prior to 1
July 2008 that were not included as taxable wages
in pay-roll tax returns. - The aim of the amnesty is to encourage liable
parties to voluntarily declare contractor
payments made between 1 July 2005 and 30 June
2008, where the relationship is properly regarded
as an employer/employee relationship. - The amnesty will run from the 12 October 2008 to
31 March 2009.
36The amnesty
- Voluntary disclosures made to OSR on the
applicable form within the amnesty period will
receive - concession of reviewing the previous 3 years
instead of the usual 5 years - all penalties waived
- 50 unpaid tax interest remitted
- offer of educational audits.
- After amnesty
- from 1 April 2009, the Commissioners usual
practice of raising assessments for the current
financial year and the past five financial years
will apply. In addition, penalties will be
applied to contractor payments that have been
omitted from pay-roll tax declarations.
37Ongoing compliance
- Educational audits and normal audit processes
will educate clients on the new relevant
contractor provisions. - Continue to work closely with relevant industry
bodies to educate their members on the new
provisions and the implications for contractors
who are incorporated.