Beyond Bendel: decoding the decision

by

Ed.

From: www.taxinstitute.com.au: (Podcast) The Full Federal Court has ruled in Commissioner of Taxation v Bendel that a corporate beneficiary’s unpaid present entitlement is not considered a loan for Division 7A purposes.

This landmark decision has important implications for taxpayers, tax practitioners, and the ATO, prompting discussions on potential legal challenges and legislative changes.

Filed under: SME & Family Business, Tax - General

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