Title: GST Update May 2004
1GST Update May 2004
- Sponsored by the Department of Treasury Finance
2Todays Presenter Suzi Russell Senior Manager
3Agenda
- Appropriations and grants
- GST-free overview
- Health
- Education
- Input taxed overview of financial supplies
- Finalised GST rulings
- Draft GST rulings
- Other interesting ATO resources
- GST risk management (including ATO audit activity)
4Appropriations
- Why should recipient be concerned as to GST
status? - Payment made by a government related entity to
another government related entity is not the
provision of consideration if the payment is
specifically covered by an appropriation under an
Australian law. - No consideration no supply by recipient
- In practice, purpose may not always be explicitly
specified by the appropriation
5Appropriations cont
- GSTR 2000/4 provides general rule of thumb
- the payment is made by a government related
entity to another government related entity and - the authority to make the payment is found in an
Act or other instrument of a legislative
character which appropriates moneys and - the payment is either
- covered by an appropriation that specifically
deals with transactions between one government
related entity and another, or - not part of a commercial transaction
6Grants
- Payment which is not covered by an appropriation
may be grant - Grants which do not create obligations for
recipient generally not consideration for a
supply - Guidance from GSTR 2000/11 and ATO Fact Sheet
(Grants and GST questions and answers) - Recipients obligations
- Identifiable consumers not world at large
7Grants cont
- Provision of grant to deliver specified services
to community in furtherance of a specific
objective may establish supply (recipient is
obligated) - Direct benefit to grantor (e.g. research grant)
- Supply of information is peripheral to reason for
grant (e.g. report as to how money used) - Co-payments (such as Abstudy) are GST-free if
related to GST-free supply
8Grants cont
- GST-free examples from GSTR 2000/11
- Education department grants subsidy to school for
cost of GST-free education courses (amount is not
tied to provision of particular courses) - School is obliged to provide courses at a reduced
rate in exchange for the funding not
consideration for GST-free supplies - Potentially taxable
9Grants cont
- Per capita funding from education department to
schools based on number of pupils at school
during the year - Funding does not represent consideration for
GST-free supplies of education to individual
students - Potentially taxable
10Gifts to Non-Profit Bodies
- Gift to a non-profit body is not the provision
of consideration - Disclosure of donor and direction as to where
funds should be spent not normally sufficient
benefit assuming non-profit recipient
11GST-Free Overview of Health
- GST-free in GST Act (Subdivision 38-B Health)
- Medical services and other health services
- Hospital treatment
- Residential, community and flexible care
- Medical aids and appliances and other GST-free
health goods - Drugs and medicinal preparations
- Private health insurance
12Medical Services
- a service for which medicare benefit is payable
under Part II of the Health Insurance Act or - any other service supplied by or on behalf of a
medical practitioner or approved pathology
practitioner that is generally accepted in the
medical profession as being necessary for the
appropriate treatment of the recipient of the
supply
13Medical Services cont
- Not GST-free if rendered for cosmetic reasons
(and no medicare benefit payable) - Common pitfall assessing the recipient of the
supply and establishing what is necessary for
the appropriate treatment of the recipient - Tripartite arrangements with other hospitals,
charities or overseas governments
14Other Health Services
- Service must be specified in the table at
subsection 38-10(1) including acupuncture,
dental, optometry, psychology and social work
services - Supplier must be recognised professional
- Supply must generally be accepted as being
necessary for the appropriate treatment of the
recipient of the supply - Again, common pitfall is assessing the recipient
of the supply - Also, what is necessary for the appropriate
treatment?
15Hospital Treatment
- Hospital treatment has meaning given by
subsection 67(4) of the National Health Act 1953 - Generally GST-free unless related to a medical
service which is not GST-free - Supply of goods is also GST-free if it is
directly related to a supply of GST-free hospital
treatment and it is supplied by, or on behalf of,
the supplier of the hospital treatment
16Medical Aids and Appliances and Other GST-Free
Health Goods
- GST-free if specifically listed in legislation or
regulations (e.g. pacemakers, bedpans, medical
alert devices and diabetes needles and
syringes) and - The thing is specifically designed for people
with an illness or disability, and is not widely
used by people without an illness or disability - Includes spare parts, including any integral,
ancillary or incidental labour - Other GST-free health goods by Health Minister
determination - Not GST-free if supplier and recipient agree
specifically not to treat as GST-free
17GST-Free Overview of Education
- GST-free in GST Act (Subdivision 38-C Education)
- Education courses
- Excursions, field trips and course materials
- Curriculum related goods
- Student accommodation
- Recognition of prior learning
18Education Course
- Pre-school, primary, secondary or tertiary course
- Masters or Doctoral course
- Special education course
- Adult and community education course
- English language course for overseas students
- First aid or life saving course
- Professional or trade course
- Tertiary residential college course
- Includes directly related administrative services
19Relevant ATO Rulings
- GST-free education supplies GSTR 2000/30
(pre-school, primary and secondary education
courses) - GST-free tertiary education supplies GSTR
2001/1 - Adult and community education courses GSTR
2000/27 (assessment of whether course is likely
to add to the employment related skills of people
undertaking the course) - GST-free professional or trade courses GSTR
2003/1 (more detail later) - Commercial pilot training GSTD 2000/11
(includes analysis of essential prerequisites for
entry to employment in a trade, profession or
occupation)
20Excursions, Field Trips and Course Materials
- Excursions or field trips GST-free if directly
related to curriculum of a GST-free education
course and not predominantly recreational - In some situations, accommodation supplied as
part of excursion or field trip is not GST-free - Supply of course materials (necessarily
consumed or transformed by the students
undertaking the GST-free education course) will
also be GST-free
21Additional Student Fees
- Student organisation (e.g. union) fees not
GST-free - Amenities Fee if used to help fund
infrastructure of university and make facilities
available for general student population (e.g.
access to libraries and computers), GST-free - Amenities Fee if relates to facilities
provided to particular students (e.g. 20
photocopying card or car parking), taxable - Private tuition not part of a supply of an
education course
22Curriculum Related Goods
- Lease or hire of goods is GST-free if goods are
for use principally by a student undertaking a
pre-school, primary or secondary education
course and - The entity supplying the course leases or hires
the goods and - At all times, the entity supplying the course has
the right to decide who uses the goods and the
use to which the goods are put
23Input Taxed Overview of Financial Supplies
- Meaning of financial supplies
- Input taxed treatment of financial supplies
- Inability to claim input tax credits
- De minimus rule (financial acquisitions
threshold) - Apportionment implications if de minimus level
breached - Reduced credit acquisitions
- Financial supply provider vs financial supply
facilitator
24Meaning of Financial Supplies
- Provision, acquisition or disposal of an interest
mentioned in the table in Regulation 40.
Examples include - A debt, credit arrangement or right to credit
(e.g. borrowing, lending and supply of credit
cards) - An annuity or allocated pension
- A guarantee, including an indemnity (except
warranty for goods or a contract of insurance or
reinsurance) - Securities (e.g. bonds, stocks or debentures)
- Acquisition-supply concept
- Refer GSTR 2002/2
25Financial Acquisitions Threshold (FAT)
- Breached in any current or projected year if the
input tax credits relating to the making of
financial supplies (other than borrowings) exceed
either 50,000 or 10 of the total input tax
credits for that year (including those relating
to the making of financial supplies) - Need to apportion costs (direct and indirect) to
monitor whether breached - Should be calculated each month
- If not breached, no apportionment required
(except for other input taxed supplies) - Refer GSTR 2003/9 (more detail later)
26Reduced Credit Acquisitions
- 75 input tax credit on eligible costs
- Regulation 70 contains table of costs. Examples
include - Processing services in relation to account
information (including archives storage,
retrieval and destruction services and statement
processing and bulk mailing) - Arrangement by a financial supply facilitator,
of the provision, acquisition or disposal of an
interest in a security - Loan protection insurance
- Debt collection services
- Refer GSTR 2004/1 (more detail later)
27Finalised GST Rulings of Note
- GSTR 2003/1 supplies that are GST-free as
professional or trade courses - GSTR 2003/3 when is a sale of real property a
sale of new residential premises? - GSTR 2003/9 financial acquisitions threshold
- GSTR 2003/11 payment on early termination of a
lease of goods - GSTR 2003/16 inducements to enter into a lease
of commercial premises - GSTR 2004/1 reduced credit acquisitions
28Draft GST Rulings of Note
- GSTR 2003/D6 Assignment of income streams
including under a securitisation arrangement - GSTR 2004/D1 the GST implications of the
purchase of fuel using a fuel card - Various revised drafts on GST-free exported
services
29GSTR 2003/1 GST-Free Professional or Trade
Courses
- Professional or trade course is defined as a
course leading to a qualification that is an
essential prerequisite - For entry to a particular profession or trade in
Australia or - To commence the practice of (but not to maintain
the practice of) a profession or trade in
Australia. - Ascertaining whether you are supplying a course
and then deciding whether the course leads to a
qualification - Qualification must result from, and will follow
successful completion of the course
(qualification may be issued by a third party)
30GSTR 2003/1 GST-Free Professional or Trade
Courses cont
- Qualification must be an essential prerequisite
- Must be mandatory for a person to have the
qualification before he/she can enter into, or
commence the practice of, a particular profession
or trade - What is a profession or trade (more than just a
skill)? - Qualification imposed by or under an industrial
instrument - Qualification imposed by a professional or trade
association that operates on a national level or,
if so applicable, at a State or Territory level
31GSTR 2003/1 GST-Free Professional or Trade
Courses cont
- Ability of professional or trade association to
impose a qualification - What is a professional or trade association?
- If doing specialist course is really just gaining
additional skills but is not an essential
prerequisite and/or not related to entering a
profession or trade will not qualify - Maintaining the practice of a profession or trade
(e.g. refresher courses) will not qualify
32GSTR 2003/3 Sale of New Residential Premises
- Sale of residential premises not input taxed to
extent that they are commercial residential
premises or new residential premises (other than
those used for residential accommodation before 2
December 1998) - Generally, new residential premises
- Have not previously been sold as residential
premises and have not previously been the subject
of a long-term lease or - Have been created through substantial renovations
of a building or - Have been built, or contain a building that has
been built, to replace demolished premises on the
same land
33GSTR 2003/3 Sale of New Residential Premises
cont
- Residential premises constitutes the land and the
residential building on the land as a package - Where retail premises with separate residential
premises may require apportionment - Sale refers to transfer of full and complete
ownership of the maximum interest in the land
(may be freehold or leasehold)
34GSTR 2003/3 Sale of New Residential Premises
cont
-
- Subdivision of land, in itself, does not create
new residential premises - Where land with a residential building has
previously been sold as residential premises, or
been the subject of a long-term lease, and the
area of land is reduced in size, subsequent sale
is not sale of new residential premises - Where area of land is subsequently increased, ATO
considers that there is a different package
which needs to be apportioned (between input
taxed and taxable) on disposal
35GSTR 2003/3 Sale of New Residential Premises
cont
-
- New residential premises previously sold as
commercial property - New residential premises may be created through
substantial renovations of a building - Where, however, substantial renovations occurred
before 2 December 1998 and the premises have been
used for residential accommodation before that
date sale will not be taxable supply
36GSTR 2003/3 Sale of New Residential Premises
cont
-
- Criteria for substantial renovations
- renovations need to affect the building as a
whole and - renovations need to result in the removal or
replacement of all or substantially all of the
building - Demolition of premises, apart from the façade,
and construction of residential premises behind
the façade, would create new residential premises
37GSTR 2003/3 Sale of New Residential Premises
cont
-
- Reference to used for residential accommodation
before 2 December 1998 applies to the new
residential premises, not the premises prior to
renovation/building - Residential premises are not new residential
premises if they have only been used for making
input taxed supplies of residential rent for
continuous five years since first became
residential premises, last substantially
renovated or last built - Ruling has a number of examples, in particular,
concerning renovations and helpful flowchart at
Appendix 1
38GSTR 2003/9 Financial Acquisitions Threshold
(FAT)
-
- Current and future acquisitions threshold tests
- First limb of test exceeding 50,000
- Second limb of test exceeding 10
- Financial acquisition is an acquisition that
relates to the making of a financial supply
(other than a financial supply consisting of a
borrowing) - The nexus between an acquisition and the making
of a financial supply (direct and indirect costs)
39GSTR 2003/9 Financial Acquisitions Threshold
(FAT) cont
-
- Timing of acquisition in relation to making the
financial supply difficult issue! - Looking at the entitys intention
- Intention may be evidenced through business plan,
accounting budget, previous experience,
correspondence with third parties or board
resolution - If entity subsequently changes intended or actual
use of acquisition, it ceases/starts to be a
financial acquisition for FAT purposes from that
date no retrospective recalculations required
40GSTR 2003/9 Financial Acquisitions Threshold
(FAT) cont
-
- No consideration of reduced input tax credit
entitlement when calculating FAT - Acquisitions related to making GST-free input
taxed supplies to be included in FAT calculations - Consider GST group as one single entity (timing
issues when new member leaves/joins group) - Need to test the FAT every time BAS is completed
41GSTR 2003/11 Payment on Early Termination of a
Lease of Goods
-
- Although examines lease of goods termination
payments, principles may have broad application
to payments made on early termination of other
types of agreements - Main thrust of ruling is that there will be GST
consequences of payments (unlike out-of-court
settlements or damages payments) adjustment to
earlier supply or new supply - Early termination by agreement in accordance with
original terms of lease
42GSTR 2003/11 Payment on Early Termination of a
Lease of Goods cont
-
- Early termination under a separate agreement
- Early termination pursuant to State or Territory
consumer credit legislation - Early termination following default by lessee
only genuine damages (arising out of genuine
default and dispute) considered not to be
consideration for a supply - Early termination following a casualty occurrence
- Detailed alternative views and examples
43GSTR 2003/16 Commercial Lease Incentives
-
- Monetary (e.g. fitout costs) and non-monetary
(e.g. rent holiday) inducements provided by
either landlord or tenant - Inducements may be provided to or paid by an
associate - Where tenant agrees to carry out work on premises
in addition to normal obligations of tenant,
could be consideration for additional supply from
landlord - Where landlord provides lease incentive,
consideration for supply of premises by landlord
is not reduced by the incentive
44GSTR 2003/16 Commercial Lease Incentives cont
-
- Cash incentive from landlord tenant makes
supply for consideration - Fitout/plant incentives from landlord GST
treatment largely dependant on who has ownership
of fitout/plant - Income guarantees unless lease agreement is
specifically for this purpose, no separate supply
by tenant to landlord
45GSTR 2003/16 Commercial Lease Incentives cont
-
- Landlord pays tenants rent under existing lease
akin to cash incentive in that tenant is making
supply to new landlord for consideration - Landlord accepts the assignment of tenants
existing lease contra supplies by landlord and
tenant for assignment - Rent-free or discounted period on new lease no
separate supply by tenant
46GSTR 2003/16 Commercial Lease Incentives cont
-
- Rent-free or discounted period on existing lease
separate supply by tenant as not condition of
the existing lease - Rent-free or discounted period in exchange for
service (e.g. repairs) which benefits the
landlord separate supply by tenant (unless
part and parcel of the terms of the lease) - Lease premiums part of consideration for
premises or separate inducement for lease GST
treatment same as underlying lease (landlord
liable for GST)
47GSTR 2004/1 Reduced Credit Acquisitions
-
- Only relevant if FAT breached
- Explains each of the 31 items in Regulation 70 in
detail and whether they are inclusive or
exclusive - Reduced input tax credit (75) available from
time the intention to make a financial supply is
formed - Discussion regarding meaning of financial supply
provider and financial supply facilitator
48GSTR 2003/D6 Assignment of Income Streams
-
- Ruling deals with supply of a right to an income
stream from - Loan portfolios
- Finance and operating leases
- Hire purchase agreements
- Residential/commercial property leases
- Royalty agreements and
- Credit card receivables
- Also deals with issues related to debt factoring
and securitisation arrangements
49GSTR 2003/D6 Assignment of Income Streams cont
-
- Assignment of income stream (including all rights
in the underlying asset which may be the subject
of the receivables agreement) is a financial
supply - Assignor retains liability to remit GST on
underlying supply - Issuing invoices and tax invoices
- No bad debt adjustment available
50GSTR 2003/D6 Assignment of Income Streams cont
-
- Redirection of payments no provision,
acquisition or disposal of an interest in a debt - Novation creation or substitution of a new
agreement between the original parties and a
third party - Securitisation arrangements (using a special
purpose vehicle) are examined in detail
51GSTR 2004/D1 GST Implications of Using a Fuel
Card
-
- Where terms of contract are such, fuel card
provider makes supply of fuel to card customer
and makes acquisition of fuel from fuel merchant
(tax invoices must flow accordingly) - Monthly or annual fees, interest or late payment
charges payable by the fuel card customer are
financial supplies
52Sample of ATO Interpretive Decisions
- GST and supplies of meals funded under the Home
and Community Care Act 1985 (ATO ID 2003/1038) - GST and medical services supplied to a health
service provider (ATO ID 2003/1157) - GST and goods supplied after conclusion of
GST-free other health service (ATO ID 2003/10) - GST and transfer of annual leave, annual leave
loading, flextime and sick leave entitlements
(ATO ID 2004/362)
53Sample of ATO Interpretive Decisions cont
- GST and registration of a government body (ATO ID
2003/1169) note DTF Proof of Identity
requirement - GST and government GST group members in different
government portfolios (ATO ID 2004/227) - GST and sale of land by the sheriff of a court
(ATO ID 2004/315) - GST and cancellation of a licence as a result of
a government direction (ATO ID 2004/316)
54ATOs Register of Private Binding Rulings
- Can be useful ATO resource. Examples
- GST and removal of sewage because of leakage of
sewer pipes (18069) - GST and acceptance of waste at the transfer
station (8567) - GST and tipping of sewage sludge (11893)
55GST Risk Management Considerations
- DTFs Tax Compliance Framework
- Monitoring guidelines and staying abreast of
technical changes - How do you know what is happening in your
organisation? - Identifying/escalating risks
- Annual independent assurance review of taxation
compliance and certification of compliance - Systems and processing - periodic reasonableness
testing
56GST Risk Management Considerations cont
- Maximising input tax credits and correctly
classifying supplies - ATOs cooperative compliance model tax risk
forms large part and ATO looks at - Business and transactions
- Globalisation
- Attitude
- Systems of compliance
- Perceptions of stakeholders
- Materiality
- Application of the law
57GST Risk Management Considerations cont
- Risk identification, classification and
assignment core accountabilities, processes and
existence of documentation and specialist advice - Current impact and mitigation of assessment
analysis of existing business processes, people
and technology systems in place for GST
accounting purposes - Assessment of probability and impact
cost/benefit analysis of various go-forward
strategies/controls for addressing key tax risk
areas - Tax risk register blueprint to address all
key risks identified, monitor risks and achieve a
best practice
58ATO Audit Activity
- Current environment
- Computer assisted techniques
- Government departments and agencies are currently
under ATO audit - Key focus inputs, outputs, processes, coding,
controls and preparation of the BAS
59GST Hotspots for Government Entities
- Appropriations and grants
- Division 81 fees
- Tripartite arrangements vs third party
arrangements - Property margin scheme
- Transitional GST-free contracts
- In-kind contributions
- Machinery of Government changes
60Questions