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象黑山老妖说的, 很复杂. 建议咨询好的会计师,我下面介绍的只是皮毛.
Land acquired Tax consequences
As trading stock
Usually only subject to trading stock provisions, unless it ceases to be held as trading stock; GST usually applicable.
Not as trading stock
(a) Pre-CGT
(1) Profit on sale assessable under s 25A or as ordinary income if land acquired for profit-making or if ``business'' venture involved
(2) If land is a capital asset, ordinary income tax consequences arise if there is more than the ``mere realization'' of the land or the land commences to be held as trading stock
(3) CGT may apply to an improvement effected post-CGT
(4) If ordinary income arises GST usually applicable
(b) Post-CGT (or deemed to be acquired post-CGT)
(1) Ordinary income tax as per (1), (2) and (4) for pre-CGT
(2) Capital gain or capital loss may arise on disposal
Main Residency
The mere subdivision of land adjacent to a person's main residence does not usually give rise to ordinary income implications. However, there are limitations that apply for CGT, social security and, in most jurisdictions, land tax purposes.
For CGT purposes, land adjacent to a person's main residence is treated as part of the dwelling to the extent that the total area of the land on which the dwelling is erected and the adjacent land does not exceed two hectares.
If, however, the adjacent land was acquired post-CGT, the disposal of the adjacent land will not qualify for the CGT main residence exemption if it is sold separately to the dwelling. The position is the same in the case of the disposal of a garage, etc, associated with a flat or home unit. |
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