{"id":1830,"date":"2018-05-03T17:05:59","date_gmt":"2018-05-03T07:05:59","guid":{"rendered":"https:\/\/cruzandco.com.au\/?p=1830"},"modified":"2018-05-03T12:20:30","modified_gmt":"2018-05-03T02:20:30","slug":"tax-effective-distributions-minors","status":"publish","type":"post","link":"https:\/\/cruzandco.com.au\/tax-effective-distributions-minors\/","title":{"rendered":"Tax-effective Distributions to Minors"},"content":{"rendered":"

By Steve Burnham<\/strong><\/p>\n

\"\"<\/a>While unearned income distributed by a trust to minor beneficiaries is generally taxed at punitive rates, this is not always the case, in particular where assets have devolved to the trustee as a result of death or disability. Taxpayers and advisers should therefore be vigilant to ensure that the opportunity to distribute income to minor beneficiaries and attract ordinary tax rates is not overlooked<\/p>\n

Minor income generally
\n<\/strong>The income of children less than 18 years old on the last day of the income year is taxed differently from other Australian residents. The rules governing minors are contained in Division 6AA (ITAA36). The basis upon which minors are taxed is demonstrated in the diagram below.<\/p>\n

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For a person under the age of 18 on the last day of the income year, three questions are relevant in determining how their income will be taxed. The first is whether the person is an \u201cexcepted person\u201d for the purposes of ITAA36 (see below). If the answer to this question is \u201cyes\u201d the income of the minor, including trust distributions, is taxed at normal rates and the low income tax offset is available.<\/p>\n

Secondly, is the income \u201cexcepted income\u201d? If so, it is taxed at normal rates, however other income will be taxed at the special rates for minors. Table 1 below sets out the persons who are classified as \u201cexcepted\u201d. If a taxpayer is not an excepted person it will be necessary to consider whether particular income is excepted income (see Table 2). The third enquiry is whether income received is \u201cexcepted trust income\u201d.<\/p>\n

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Trust income derived by minor
\n<\/strong>Where a beneficiary of a trust estate is a \u201cprescribed person\u201d (that is, not an excepted person), trust distributions may be \u201cexcepted trust income\u201d in accordance with\u00a0
s102AG ITAA36<\/a>\u00a0and taxed at normal marginal rates. Table 3 below indicates the circumstances in which income may be classified as excepted trust income.<\/p>\n

Common scenarios that may result in the receipt of excepted trust income by a minor beneficiary include:<\/p>\n