About the Podcast
The application of section 100A ITAA 1936 regarding reimbursement agreements can have serious adverse tax consequences for a trust. However, in the past practitioners may have had a degree of uncertainty as to how the ATO interpret this piece of legislation. With the ATO recently issuing various guidance material on the topic, as well as a recent case decision providing further assistance, can we now move forward with clarity? In this podcast the ATO will share its views on how it considers section 100A should apply.
Featuring: Christopher Ryan, National Director, Tax Avoidance Taskforce – Trusts, ATO, Sydney
25 minutes / 0.4 CPD hours
0.42 CPD Hours