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 ATO focus for private wealth
 Our key areas of focus are based on the risks and issues identified through our intelligence collection, risk detection and analysis and case work. While we are focused on improving tax performance across all tax and superannuation compliance obligations for the privately owned wealthy groups population, these are the foundational, emerging and evolving risks and targeted focus areas where we are investing more resources. 
 Foundational issues
 Registration, lodgment and payment
 Registration, lodgment and payment risks and issues include: 
 
	not registering for obligations where required, or being registered under the incorrect basis (accounting basis or reporting cycle)failure to lodge tax returns, fringe benefits tax (FBT) returns or activity statements when requirednot paying tax debts on time and not engaging with us. 
 Incorrect reporting
 Incorrect reporting risks and issues include: 
 
	incomplete reporting of returns, activity statements and schedules (including information labels such as shareholder loans, assets and liabilities)omitted income and sales (income tax and GST)incorrectly claiming GST creditsineligible research and development (R&D) expenditure being claimedineligible R&D activities being claimedincorrectly claiming base rate entity status. 
 Tax advisers and professional firms
 Risks and issues with tax advisers and professional firms include: 
 
	failure to lodge own tax returns or business activity statements (BAS)failure to lodge partnership returns or statements of distributionsfailure to pay own tax debts on timeinappropriate allocation of professional firm profits (PCG 2021/4)intermediaries (including R&D consultants) encouraging aggressive tax arrangements or promoting tax avoidance or exploitation schemes. 
 Division 7A
 Division 7A risks and issues include: 
 
	unreported shareholder loansnon-complying loan agreementsfailure to make minimum yearly repayments or not applying the correct benchmark interest rateinadequate record keepingsection 109R loan repayment arrangements including loans repaid just before the private company’s lodgment day with the intent to reborrow similar or larger amounts from the same companyrequests for section 109RB discretions. 
 Capital gains tax (CGT)
 CGT risks and issues include: 
 
	eligibility criteria when claiming small business CGT concessionsinappropriate calculations of the CGT discountusing the small business restructure rollover (Subdivision 328-G) incorrectly, including for reasons other than a genuine restructure of an ongoing businesscapital losses from related party transactions (market value substitution rule)incorrect application of Division 855 (non-resident access to concessions). 
 Property and construction
 Risks and issues related to property and construction include: 
 
	capital versus revenue misclassification on disposal of real propertyomission of income on disposal of real propertyfailure to lodge or report sales or GST on income tax returns or BAS as identified by the taxable payments reporting systemmisreporting or underreporting of GST for real propertyfailure to meet GST reporting obligations for real propertyfailure to meet GST registration obligations for real property. 
 International transactions
 Risks and issues related to international transactions include: 
 
	intangible migration arrangementsmischaracterisation of service transactions which results in mispricing and creates risk from a corporate residency and controlled foreign companies' perspectivewithholding tax compliancesignificant global entity compliancerelated-party financing (including concerns with the use of non-commercial terms to push up financing costs in the property and construction industry). 
 Other domestic transactions
 Risks and issues related to other domestic transactions include 
 
	non-arm’s length income in self-managed super fundsmisinterpretation or disregard for family trust electionsresidents not including distributions from foreign trusts (section 99B)franking account balance discrepancies45 day holding rule (franking credit integrity rules). 
 Emerging or evolving risks and issues
 Incorrect reporting
 Emerging or evolving risks and issues with incorrect reporting include: 
 
	trusts over-claiming deductions that inappropriately reduce trust net incomeincreasing lodgments in industry sectors where R&D activities and expenditure may not be eligibleincorrectly claiming GST credits on employee allowancesincorrectly claiming GST refunds without sufficient evidence to substantiate claims. 
 CGT
 Emerging or evolving risks and issues with CGT include: 
 
	Division 149 (pre-CGT asset)reduction in capital gains and losses arising from CGT events in relation to certain voting interests in active foreign companies (Subdivision 768-G). 
 Other emerging areas
 Other emerging or evolving risks and issues are: 
 
	inappropriate use of income tax exempt vehicles, including ancillary funds, to access tax concessions and private benefits where there is no entitlementtrust loss trafficking (inappropriate generation and use of losses)share buyback arrangementsthin capitalisation rulescryptocurrency based business modelspossible passage of the Better Targeted Superannuation Concessions measure (yet to be re-introduced post-election). 
 Targeted focus areas
 Succession planning
 We continue our focus on risks that are arising in relation to the ageing demographic and succession planning. 
 We have seen an increase in succession planning activities as private groups restructure, dispose of assets or transfer wealth. This may be through mature family-controlled businesses being sold or passed onto the next generation, or the accumulated wealth from those businesses being transferred. 
 Transactions we commonly see that facilitate succession planning can include: 
 
	assets being moved around the groupfamily member interests being restructuredconcessions, exemptions and rollovers being accessedloans to shareholders or associates settled (Division 7A loans)trusts being used to transfer wealth. 
 For more information, see Succession planning tax risks. 
 Private equity
 A targeted focus area is the risk across the life of the private equity investment, including all private equity participants (firms, funds, target entities and investors) at different stages of the private equity lifecycle (pre-acquisition, acquisition, holding, pre-exit and exit). 
 Retirement villages
 Targeted focus areas for retirement villages include: 
 
	reviewing the GST and income tax through the retirement village cycleincorrect application of GST-free provisionsincorrect application of Division 135 (supplies of going concern)related-party transaction and incorrect valuations between related partiescontentious land-lease structure. 
 GST focus areas
 From a GST perspective, we're focusing on our 2 largest industries, retail and construction. 
 Retail
 Our retail focus includes: 
 
	transactions between entities within the same private grouperrors arising from systems with poor controlsomission of income from salesmisclassification of vouchers sales and warranty paymentsclaiming input tax credits for non-creditable acquisitionsfailure to meet GST reporting obligationfailure to meet GST registration obligations. 
 Construction
 Our construction focus includes: 
 
	misclassification of commercial adjustments such as contract variationsomission of income from salestransactions between entities within the same private groupfailure to lodge or report sales or GST on BAS as identified by the taxable payments reporting systemmisreporting or underreporting of GST for construction sales or payments to suppliers, employees or contractorsfailure to meet GST reporting obligationfailure to meet GST registration obligations. 
   
   
   
 ato.gov.au 
 
 30th-June-2025
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