A binding private ruling (BPR) is issued in response to an application and clarifies how the Commissioner would interpret and apply the provisions of the tax laws relating to a specific proposed transaction.
The rest of the BPRs may be accessed by navigating the pane above.
| Number | Subject |
|---|---|
| BPR 389 New! | Bursaries awarded by a resident company |
| BPR 388 | Application of the de-grouping rule following previous intra-group transactions under section 45 |
| BPR 387 | Attribution of nett income to a public benefit organisation |
| BPR 386 | Share disposal between two employee share incentive trusts |
| BPR 385 | Use of preference share proceeds to fund employee share ownership plan |
| BPR 384 | Cession to special trust of the beneficiary’s loan account |
| BPR 383 | Transfer of profits for group tax purposes between controlled foreign companies |
| BPR 382 | Rebate in respect of foreign taxes |
| BPR 381 | Beneficial ownership in respect of back-to-back share transfers |