Determinations: Other determinations
Determination FDR 2008/02 - Fair dividend rate method not to be used for a type of attributing interest in a foreign investment fund
Determination
Reference
This determination is made under section 91AAO(1)(b) of the Tax Administration Act 1994. This power has been delegated by the Commissioner of Inland Revenue to the position of Policy Manager under section 7 of the Tax Administration Act 1994.
Discussion (which does not form part of the determination)
Units in a non-resident issuer to which this determination applies are an attributing interest in a foreign investment fund (FIF) for New Zealand resident investors. New Zealand resident investors are required to apply the FIF rules to determine their tax liability in respect of their units in the non-resident issuer each year.
New Zealand resident investors who satisfy the requirements of section EX 40(7) of the Act will qualify to use the fair dividend rate (FDR) method to determine their tax liability in respect of their units in the non-resident issuer, and are not prevented from using the FDR method pursuant to section EX 40(8) and EX 40(9) of the Act in the absence of a determination under section 91AAO of the Tax Administration Act 1994.
However, I consider that it is not appropriate for New Zealand resident investors in this arrangement to use the fair dividend rate method. Due to the nature of the overall arrangement (as described to me by the applicant), application of the FDR method would impose unnecessarily high compliance costs on New Zealand investors each of whom would be required to perform a substantial number of quick sale calculations and associated foreign exchange calculations every time they withdraw funds from the non-resident issuer during the year.
Scope of determination
The investments to which this determination applies are units in a non-resident issuer which:
- is the Macquarie Cash Management Trust, a unit trust that is established and tax resident in Australia;
- is managed by Macquarie Investment Management Limited (Macquarie), a company incorporated and tax resident in Australia, or an entity which is associated with Macquarie;
- issues Australian dollar denominated units (not being fixed rate shares or non-participating redeemable shares) to New Zealand resident investors;
- invests proceeds from the issue of units in assets which are Australian dollar denominated financial arrangements, currently short-term Australian dollar denominated debt securities;
- does not invest in any currency arrangements which provide an overall economic return as if the securities were denominated in New Zealand dollars;
- may make distributions of income (if any) to the unit holders in the form of cash or additional units but does not guarantee that any income will be derived or that a distribution will be made.
Interpretation
In this determination, unless the context otherwise requires-
"Associated" mean associated persons under sections OD 7 and OD 8 of the Act;
"Financial arrangement" means financial arrangement under section EW 3 of the Act;
"Fixed rate share" means a fixed rate share under section LF 2(3) of the Act;
"Non-resident" means a person that is not resident in New Zealand for the purposes of the Act;
"Non-participating redeemable share" means a non-participating redeemable share under section CD 14(9) of the Act;
"The Act" means the Income Tax Act 2004.
Determination
An attributing interest in a FIF to which this determination applies is a type of attributing interest for which a person may not use the fair dividend rate method to calculate FIF income from the interest.
Application date
This determination applies for the 2007-08 and subsequent income years.
Dated at Wellington this 8th day of February 2008.
David Carrigan
Policy Manager
Inland Revenue
Other pages in: Other determinations
- Foreign currency amounts - conversion to New Zealand dollars (for six months ending 30 September 2011)
- Information for exporters affected by the grounding of the "Rena" off the Tauranga coastline
- Determination CFC 2011/03: Non-attributing active insurance CFC status (Cigna APAC Holdings Limited)
- 2011 International tax disclosure exemption ITR22
- Determination DET EE-11/02: Declaration of the Canterbury earthquake of 22 February 2011 as an emergency event for the purposes of family scheme income
- Determination DET EE-11/01: Declaration of the Canterbury earthquake of 4 September 2010 as an emergency event for the purposes of family scheme income
- Foreign currency amounts - conversion to New Zealand dollars (for the 12 months ending 31 March 2011)
- CPI Adjustment - CPI 11/02 for Determination DET-05/03: Standard-cost household service for boarding service providers
- CPI Adjustment 11/01 for Determination DET 09/02: Standard-cost household service for childcare providers
- Categories of taxpayers who need to request a personal tax summary
- Determination CFC 2011/02: Non-attributing active insurance CFC status (TOWER Insurance Limited)
- Determination CFC 2011/01: Non-attributing active insurance CFC status (TOWER Insurance Limited)
- Foreign currency amounts - conversion to New Zealand dollars (for six months ending 30 September 2010)
- Foreign currency amounts - conversion to New Zealand dollars
- Determination FDR 2010/1: Revocation of Determination FDR 2008/13
- Determination FDR 2010/02: Use of fair dividend rate method for a type of attributing interest in a foreign investment fund
- CPI Adjustment 10/01 for Determination DET 09/02: Standard-cost household service for childcare providers
- CPI Adjustment- CPI 10/02 for Determination DET-05/03: Standard-cost household service for boarding service providers
- 2010 International tax disclosure exemption ITR21
- Cancellation of Determination G30
- Determination FDR 2009/5: Use of fair dividend rate method for a type of attributing interest in a foreign investment fund that is a derivative income trust
- Determination FDR 2009/03: A type of attributing interest in a foreign investment fund for which a person may not use the fair dividend rate method (PIMCO Funds: Global investors Series plc Global Bond Fund)
- Determination DET 09/04: Eligible relocation expenses
- Determination DET 09/03: Amount of honoraria paid to members of the Royal New Zealand Plunket Society (Inc) that shall be regarded as expenditure incurred in production of payment
- Determination FDR 2009/2: A type of attributing interest in a foreign investment fund for which a person may not use the fair dividend rate method (PIMCO Wholesale Global Bond Fund)
- Determination FDR 2009/1: A type of attributing interest in a foreign investment fund for which a person may not use the fair dividend rate method (AMP future directions international bond fund)
- DET 09/02 Standard-cost household service for childcare providers
- CPI Adjustment - CPI 09/01 for Determination DET - 05/03: Standard-cost household service for boarding service providers (March 09)
- Determination DET 09/01: Standard-cost household service for home share care providers
- Determination E12: Persons excused from complying with section EA 3 of the Income Tax Act 2007
- 2009 International Tax Disclosure Exemption ITR20
- Determination FDR 2008/13 - Use of fair dividend rate method for a type of attributing interest in a foreign investment fund (PIMCO Cayman Global Bond (NZD Hedged) Fund)
- 2008 International Tax Disclosure Exemption ITR19
- Determination 001 2008 CPI Adjustment Standard-cost household service for childcare providers
- Determination 05/03 - 2008 CPI Adjustment Standard-cost household service for boarding service providers 08/02 (March 08)
- Determination FDR 2008/12 - A type of interest in a foreign investment fund for which a person may not use the fair dividend rate method (Global Investment Service Super Yield Fund)
- Determination FDR 2008/11 - A type of interest in a foreign investment fund for which a person may not use the fair dividend rate method (Global Investment Service High Yield Cash Fund)
- Determination FDR 2008/10 - A type of interest in a foreign investment fund for which a person may not use the fair dividend rate method (Global Guardian Management Cash Plus Fund)
- Determination FDR 2008/09 - Use of fair dividend rate method for a type of attributing interest in a foreign investment fund (ABN AMRO Global Equities Hindsight Trust)
- Determination FDR 2008/08 - Use of fair dividend rate method for a type of attributing interest in a foreign investment fund (Macquarie Highpoint Trust)
- Determination FDR 2008/07 - Use of fair dividend rate method for a type of attributing interest in a foreign investment fund (ING Credit Opportunities Fund's interests in offshore credit opportunities funds)
- Determination FDR 2008/06 - A type of attributing interest in a foreign investment fund for which a person may not use the fair dividend rate method (ING Regular Income Fund)
- Determination FDR 2008/05 - A type of attributing interest in a foreign investment fund for which a person may not use the fair dividend rate method (ING Diversified Yield Fund)
- Determination FDR 2008/04 - Use of fair dividend rate method for a type of attributing interest in a foreign investment fund (Macquarie reFleXion Trust)
- Determination FDR 2008/03 - Use of fair dividend rate method for a type of attributing interest in a foreign investment fund (Macquarie Escalator)
- Determination FDR 2008/01 - Use of fair dividend rate method for a type of attributing interest in a foreign investment fund
- Determination - Use of fair dividend rate method for a type of attributing interest in a foreign investment fund
- DET 05/03 Standard-cost household service for boarding service providers - CPI Adjustment 07/02 (March 07)
- DET 001 - Standard-cost household service for childcare providers - CPI Adjustment 07/01 (March 07)
- 2007 International Tax Disclosure Exemption ITR18
- 2006 International Tax Disclosure Exemption ITR17
- DET 001 - Standard-cost household service for childcare providers - consumers price index adjustment 06/01 (April 2006)
- DET 05/03 Standard-cost household service for boarding service providers - preliminary consumers price index adjustments 06/02 (April 2006)
- DET 05/02 Amortisation rates for landfill cell construction expenditure (Nov 05)
- DET 05/03 Standard-cost household service for boarding service providers (Nov 05)
- DET 001 - Standard-cost household service for childcare providers
- DET 001 - Standard-cost household service for childcare providers - consumers price index adjustments (March 2005)
Date published: 21 Feb 2008
Back to top