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Isolated transactions: current income tax implications

journal contribution
posted on 2006-01-01, 00:00 authored by Rami HanegbiRami Hanegbi
Profits from isolated transactions will often be potentially caught by the capital gains tax provisions of the income tax legislation. Because the provisions usually tax gains at concessional rates but only apply to gains that are not otherwise taxable, it is important to determine when gains from isolated transactions constitute ordinary income. This article discusses when isolated transactions generate ordinary income, as well as briefly mentioning what statutory provisions they might be assessable under. Isolated transactions will generate ordinary income when the transaction has the sufficient indicia of a business, or when it comes under one of the strands of Commissioner of Taxation (Cth) v Myer Emporium Ltd (1987) 163 CLR 199. However, the law in this area is complex and unclear in parts. The relevant tax ruling, TR 92/3, is incomplete and at times inaccurate and so is of very limited assistance.

History

Journal

Australian tax review

Volume

35

Issue

4

Pagination

248 - 261

Publisher

Lawbook Co

Location

Sydney, N.S.W.

ISSN

0311-094X

Language

eng

Publication classification

C1 Refereed article in a scholarly journal

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