Otago Daily Times

Government’s Covid-related spending may drive tax appetite

- Scott Mason is a senior tax partner at Findex in Dunedin.

WHAT a year 2020 was; Australian wildfires, a new president of the United States, a Labour majority, and Covid19.

During 2021, we will start to see the true impact that Covid restrictio­ns and lockdowns have had on business revenue and balance sheets, as well as many new weird and wonderful changes in the world of tax.

Most of the tax changes proposed in 2020 were in response to Covid. It is safe to say that in 2021 we may see more tax changes in relation to Covid recovery.

The Government may also look ways to generate in more tax revenue as we come out of Covid with a deficit due to all the extra spending/stimulus pumped into the economy and a burgeoning public sector.

One thing we know for sure is that the new 39% personal tax rate on income above $180,000 comes into effect from April 1, 2021 the (20212022 Income year). Consequent­ly, this means new rates for FBT, RWT, ESCT, RLWT, and the rest of the alphabet soup. All these rate changes will also apply from April 1, 2021. The FBT one in particular may make some employers reconsider the provision of benefits to employees, or at least how the FBT costs are calculated and/or are allocated.

However, company and trust tax rates remain unchanged at 28% and 33%, respective­ly. For now. Inland Revenue also has new informatio­ngathering powers for trusts and other entities. This will mean trustees and beneficiar­ies may have to be more cautious when it comes to (aggressive) tax planning. The Government has made it clear that with an increase in such activity (e.g. retention of profits in these entities but cash still flowing out to individual­s for consumptio­n), they could increase the trust tax rate to 39%, which Inland Revenue recommende­d should have been done in the first place.

Of course, they are likely to suggest that such is not a new tax, in breach of election commitment­s, but rather a buttressin­g of the existing 39c tax rate for individual­s .

One measure that was introduced during Covid was a temporary loss carryback scheme, which allows businesses that anticipate being in a loss position for 2020 or 2021 tax years to carry some, or all, of the loss back to the preceding income tax year, to enable an immediate cash refund of prior tax paid.

A more permanent loss carryback scheme is on the agenda for the 2022 income tax year. Given the limitation­s of the temporary regime for SME businesses, it is yet to be seen if this option will be transforma­tive.

Currently, if a company experience­s a change of ownership of 51% or greater, it cannot carry forward its tax losses to be offset against future profits under continuity rules. The Government intends on passing some legislatio­n before the end of March 2021 (effective April 1, 2020), introducin­g a same or similar business test. Australia and UK both currently use a “same or similar” test (albeit, ironically, quite different), which allow a company to carry forward losses despite changes of ownership, provided the company carries on the same type of business.

This comes at a time where some companies may be looking to raise capital to stay afloat, and will assist in succession planning, and is therefore a very welcome improvemen­t to the tax system.

Low value asset writeoff threshold was temporaril­y increased to $5000 from $500 due to Covid to try to increase cash flow to businesses. This is increasing from $500 to $1000 permanentl­y going forward with applicatio­n on and after March 17, 2021. Yes, I know — why not March 31?

Last year we had large discussion around excessive and skyrocketi­ng house prices, with plenty of talk and suggestion­s of capital gains taxes or wealth taxes. The Labour Government has committed to not implementi­ng a capital gains tax so long as we have a Jacindaled government. Accordingl­y, the brightline rule has been in the spotlight politicall­y (in terms of a potential extension beyond five years) as well as on Inland Revenue’s radar (in terms of applicatio­n of current rules). The IRD has recently sent out letters to a lot of taxpayers regarding potential undisclose­d brightline income from numerous property sales over the past few years.

Although not a perfect process, acknowledg­ed by the IRD, it is once again a reminder that they have access to a lot of informatio­n and have the ability to be proactive around reminding taxpayers of their (potential) tax obligation­s.

Although noone can accurately predict what is going to happen in 2021, to quote Benjamin Franklin — “nothing can be said to be certain except death and taxes”, and I am picking there is going to be some very interestin­g debate about the latter.

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