Trending...
- The New Monaco of the South (of Italy)
- FrostSkin Launches Kickstarter Campaign for Patent-Pending Instant-Chill Water Purification Bottle
- ANTOANETTA Partners With Zestacor Digital Marketing to Expand Online Presence for Handcrafted Luxury Jewelry
STAFFORD, Australia - AussieJournal -- Documentation and evidence are important when it comes to tax planning. In this article, let's focus on loans issued by private companies to shareholders.
If a private company makes a loan to a shareholder in a given year, that loan must be repaid in full or placed under a complying Division 7A loan agreement by the earlier of the due date or lodgement date of the company's tax return for the year of the loan. If not, a deemed unfranked dividend can be triggered for tax purposes.
If a complying loan agreement is put in place, then minimum annual repayments normally need to be made to avoid deemed dividends being recognised for tax purposes
More on Aussie Journal
A common way to deal with loan repayments is by using a set-off arrangement involving dividends that have been declared by the company. However, in order for the set-off arrangement to be valid there are a number of steps that need to be followed before the relevant deadline. The ATO will typically want to see evidence which proves:
*When the dividend was declared; and
*When the parties agreed to set-off the dividend against the loan balance.
If there isn't sufficient evidence to prove that these steps were taken by the relevant deadline then you might find that there is a taxable unfranked deemed dividend that needs to be recognised by the borrower in their tax return.
To learn more about tax compliance, speak with our experienced accountants in Stafford, Queensland - https://mcfillin.com.au/.
If a private company makes a loan to a shareholder in a given year, that loan must be repaid in full or placed under a complying Division 7A loan agreement by the earlier of the due date or lodgement date of the company's tax return for the year of the loan. If not, a deemed unfranked dividend can be triggered for tax purposes.
If a complying loan agreement is put in place, then minimum annual repayments normally need to be made to avoid deemed dividends being recognised for tax purposes
More on Aussie Journal
- New Report Reveals Surprising Trends in Illinois Airport Accidents
- PebblePad Acquires myday to Deliver Unified Digital Campus Experiences for Student Success
- Adam Clermont Releases New Book – Profit Before People: When Corporations Knew It Was Dangerous and Sold It Anyway
- Truck Finance in 2026 - Big Changes
- Agentic AML Launched to Help SMEs Meet Australia's Tranche 2 AML/CTF Challenge
A common way to deal with loan repayments is by using a set-off arrangement involving dividends that have been declared by the company. However, in order for the set-off arrangement to be valid there are a number of steps that need to be followed before the relevant deadline. The ATO will typically want to see evidence which proves:
*When the dividend was declared; and
*When the parties agreed to set-off the dividend against the loan balance.
If there isn't sufficient evidence to prove that these steps were taken by the relevant deadline then you might find that there is a taxable unfranked deemed dividend that needs to be recognised by the borrower in their tax return.
To learn more about tax compliance, speak with our experienced accountants in Stafford, Queensland - https://mcfillin.com.au/.
Source: McFillin Accounting
Filed Under: Business
0 Comments
Latest on Aussie Journal
- People Trust People More Than Brands – And That Gap Is Growing
- International Mental Health Research Initiative Welcomes Lisa Courtnadge's New Clinical Role on the Sunshine Coast
- Yunishigawa Onsen's Annual "Kamakura Festival" will be held January 30 – March 1, 2026
- At Your Service Plumbing Named a 2025 Nextdoor Neighborhood Fave
- Custom Home Builder Connecticut Valley Homes Wins 2025 Home of the Year from the Modular Home Builders Association
- Scoop Social Co. Partners with Air Canada to Celebrate New Direct Flights to Milan with Custom Italian Piaggio Ape Gelato Carts
- Breakout Phase for Public Company: New Partnerships, Zero Debt, and $20 Million Growth Capital Position Company for 2026 Acceleration
- Japan's Patented "Hammock'n" Smartphone Band Targets Hand Fatigue From Long Phone Use
- Reditus Group Introduces A New Empirical Model for Early-Stage B2B Growth
- CCHR: Harvard Review Exposes Institutional Corruption in Global Mental Health
- Goatimus Launches Dynamic Context: AI Prompt Engineering Gets Smarter
- Global License Exclusive Secured for Emesyl OTC Nausea Relief, Expanding Multi-Product Growth Strategy for Caring Brands, Inc. (N A S D A Q: CABR)
- PawHealthAI Offers Free App to Pet Rescue Organisations and Shelters
- RNHA Affirms Support for President Trump as Nation Marks Historic Victory for Freedom
- American Laser Study Club Announces 2026 Kumar Patel Prize in Laser Surgery Recipients: Ann Bynum, DDS, and Boaz Man, DVM
- Lineus Medical Completes UK Registration for SafeBreak® Vascular
- Canyons & Chefs Announces Revamped Homepage
- $140 to $145 Million in 2026 Projected and Profiled in New BD Deep Research Report on its Position in $57 Billion US Marine Industry; N Y S E: OTH
- Really Cool Music Releases Its Fourth Single - "So Many Lost Years"