TAX TIP – Trust is also a ‘fixed unit trust’
In addition, this trust is also a “fixed unit trust” for income tax purposes, because the issue and redemption of units in the trust are required to be made effectively at market value, which should ensure that any SMSF’s investment in the unit trust cannot be inadvertently eroded by subsequent issuing or redemption of units to or for other unitholders.
Another aspect of a Fixed Unit Trust is that it is easier for such a trust to carry forward its tax losses (as well as other tax advantages if a trust is a ‘fixed trust’).
A trust is a ‘fixed trust’ for tax purposes if persons (i.e., individuals, companies, trusts, etc.) have fixed entitlements to all of the income and capital of the trust, but this does not necessarily mean that all unit trusts will be fixed trusts.
For a unitholder to have a fixed entitlement to a share of income or capital of the trust, they will need to have a vested and indefeasible interest in a share of income or capital of the trust under the trust deed. The tax law states that a unitholder’s interest will not be held to be “defeasible” merely by reason of the fact that their units are redeemable, or further units are able to be issued, provided the trust deed contains a clause that states that units can only be redeemed or issued for a price determined on the basis of the net asset value (according to Australian accounting principles) of the unit trust at the time of redemption or issue. Our Fixed Unit Trust Deed (and Non-Geared Unit Trust Deed) contains clauses to this effect – refer subclauses 4.5 and 12.2.
If the trust deed allows for other methods of valuing new units or the redemption of units then the trust may be a ‘non-fixed trust’.
Generally, a fixed trust can utilise carry forward losses, to be offset against future income, if it satisfies the ‘50% stake test’. Basically, this test requires that the same individuals must have had, at all relevant times, more than a 50% stake in the fixed trust (i.e., more than a 50% stake in the income and capital of the trust between them, which is usually evidenced by the relevant unitholdings). A fixed trust must also satisfy the ‘income injection test’.
For a non-fixed trust to be able to utilise its carry forward losses, it may not only need to satisfy the 50% stake test, but also the ‘pattern of distributions test’, the ‘control test’ and the ‘income injection test’. Although this is more difficult, it is important to note that a non-fixed trust can still utilise carry forward losses provided it satisfies the relevant tests.
Please see your accountant for further advice regarding this complex area.