.
Bryce Figot, special counsel for DBA Lawyers, said under paragraph 25 of the alert (TA2023/2), the ATO implies it is not just SMSFs to which penalties may apply if they operate outside the rules or property investment.
Paragraph 25 states:
“Penalties may apply to participants in, and promoters of, this type of arrangement. This includes serious penalties for promoters under Division 290 of Schedule 1 to the Taxation Administration Act 1953. Registered tax agents involved in the promotion of this type of arrangement may be referred to the Tax Practitioners Board to consider whether there has been a breach of the Tax Agent Services Act 2009.”
“The ATO is casting a wide umbrella over this issue,” Mr Figot said.
“It has better visibility of the market as a whole and the algorithm it uses may have detected a number of funds that lodged a small amount of assets in year one which may have shot up in year two.
“Although this tax alert is about property the principles the ATO is using could apply to a lot of things.”
Mr Figot said a case in 2020 is a prime example of how these principles could be used in situations other than straight property acquisition.
“The case involved an SMSF that invested in a business that was not property development but repaired helicopter systems,” he said.
“The fund spent $200 to acquire shares but made a profit of more than $2.3 million. The member worked in the business and transactions were not done at arm’s length.”
Mr Figot said the alert is dealing with the issue of arm’s length investments and looking at what seem like nominal investments that generate big returns.
“People have to ask themselves how could an SMSF prove the investment was consistent with an arm’s length dealing and the taxpayer alert alludes to that in paragraph 18 in regards to ‘unsafe dealings’.”
Paragraph 18 of the alert states:
A view has been expressed that as long as the SMSF is not directly involved in any non-arm’s length dealing, the NALI provisions cannot apply. These views are not correct and have been addressed judicially. Non-arm’s length dealings by any party in respect of any step in relation to the scheme, can give rise to NALI as defined in section 295-550 of the ITAA 1997.
“Even if a super fund paid an arm’s length price for the shares to begin with that does not inoculate them from NALI. You have to look at all the dealings in the food chain.
“It’s a bit like falling out of a plane – it’s not the fall that kills you. In this case, it’s not the primary tax, but the fact that the Commissioner may well put on penalties and interest.
“It begs the question how can superfunds ever invest in property development? There are lots of Is to dot and Ts to cross.
“Paragraph 5 of the alert points out that even if an SMSF gets the initial purchase right, they are not inoculated from penalties.
“You have to make sure that every step along the way is at arm’s length.
“It is a timely warning for SMSFs to get their ducks in a row and not cut corners on things.”
Director
BEc (Acc), MBA, CPA, FFin
David has been in the Financial Services Industry for nearly 30 years. He was one of the founding Directors of the successful Financial Planning and Stockbroking Practice, Henderson Gregory Forrest, for a decade. Prior to that, he held senior roles in companies such as ING, KPMG Accountants and AMP. David was previously Chairman of OAMPS Superannuation Trustee Board and currently serves as an independent Board Director for several companies.
David’s extensive experience in all forms of superannuation, including Self Managed Super Funds (SMSF), Defined Benefit Funds, retirement funding through Account Based Pensions, stockbroking with a focus on Direct Share Investment, Taxation/Remuneration Planning, Centrelink, Aged Care and business management, equip him to advise expertly on all aspects of Financial Advice.
Those with a particular interest in superannuation/SMSFs, direct share investment, salary packaging or applying for the Centrelink Pension will find his knowledge and ability in formulating and implementing creative, logical and simple wealth creation strategies a valuable asset.
David maintains a strong personalised client service focus, providing tailored solutions for clients.
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David Forrest is an Authorised Representative of Integrity Financial (SA) Pty Ltd ABN 16 133 921 187 — AFSL No 334846
Business Finance Manager
B Bus (Acc), CPA
Michelle’s career has spanned across the Financial Services, Retirement Living and Aged Care industries working in the private sector, not for profit and more recently with the state government for over 20 years. Her experience extends to many facets of the financial services industry, having worked in superannuation administration, technical support and financial planning practice administration.
Commencing with AMP and subsequently working in commerce and accounting roles with companies such as Brambles, Adelaide Bank Retirement Services, ECH Inc and SA Health and Wellbeing, Michelle returns to financial services after working in practice financial management at Henderson Gregory Forrest. This wide range of experience from senior accounting and management roles has provided Michelle with a strong background in business administration.
With an astute financial acumen and keen interest in business improvement strategies, Michelle ensures the smooth running of the Integrity Financial Advisory practice providing valued management support to our personalised client service focus.
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Client Service Manager
Jasmine has worked in the financial services industry for over 12 years in all areas of client administration, working with David since 2013.
Jasmine has extensive knowledge and experience in client service including implementation of advice, portfolio reporting, assisting with the establishment of Self Managed Super Funds (SMSFs), term deposit management and a long history of helping clients with their enquiries.
Jasmine’s attention to detail, yet gentle approach, means she is able to solve the trickiest of questions for our client community.
Jasmine has gained her Certificate III in Financial Services qualification.
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Senior Client Service Manager
Merrilyn has worked in the financial services industry for over 11 years in all areas of client administration, and is a new addition to our client services team, returning from Melbourne to join the team in June 2019.
Merrilyn has extensive knowledge and experience in client service including implementation of advice, managed fund administration, assisting with the establishment of Self Managed Super Funds (SMSFs) and process improvement for the previous practices she has worked with. Merrilyn’s experience with direct shares constitutes the other part of our administrative support for direct equity investments.
Merrilyn’s warm and caring nature continues to endear her to our clients and she has already established herself as a valued member of our team.
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