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  • Trust

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    • Dealing with Forgiven Debts (White Paper) - $55
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    • Declaration of Trust (before you buy) - $110
    • Div 7A Loan Agreement - $65
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    • Family Trust - $165
    • Family Trust - Streaming & Bamford Update - $165
    • Family Trust - Update to Allow Change of Appointor and Guardian - $165
    • Family Trust - Update to allow Sole Trustee - $55
    • Family Trust - Update to Exclude Foreign Persons (NSW) - $198
    • Family Trust - Wind up/Vesting - $259
    • Forgiveness of Debt - $121
    • Opening Minutes for the Unit Trust - $33
    • Partnership Deed - $220
    • Release of Unpaid Trust Entitlement - $121
    • The new small business restructure roll-over rules in practice (White Paper) - $55
    • Trust Distribution Minutes Library for 2008/09 - $99
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    • Trust Distribution Minutes Library for 2010/11 - $99
    • Trust Distribution Minutes Library for 2011/12 - $99
    • Trust Distribution Minutes Library for 2012/13 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2012/13 - Single-Use - $110
    • Trust Distribution Minutes Library for 2013/14 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2013/14 - Single-Use - $110
    • Trust Distribution Minutes Library for 2014/15 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2014/15 - Single-Use - $110
    • Trust Distribution Minutes Library for 2015/16 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2015/16 - Single-Use - $110
    • Trust Distribution Minutes Library for 2016/17 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2016/17 - Single-Use - $110
    • Trust Distribution Minutes Library for 2017/18 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2017/18 - Single-Use - $110
    • Trust Distribution Minutes Library for 2018/19 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2018/19 - Single-Use - $110
    • Trust Distribution Minutes Library for 2019/20 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2019/20 - Single-Use - $121
    • Trust Distribution Minutes Library for 2020/21 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2020/21 - Single-Use - $121
    • Trust Distribution Minutes Library for 2021/22 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2021/22 - Single-Use - $121
    • Trust Distribution Minutes Library for 2022/23 - Multi-Use - $363
    • Trust Distribution Minutes Library for 2022/23 - Single-Use - $132
    • Trust Distribution Minutes Library for 2023/24 - Multi-Use - $363
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    • Trust Distribution Minutes Library for 2024/25 - Multi-Use - $363
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    • Unit Trust - $165
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    • Debt Recognition (including pre-Div 7A Loans) - $33
    • Declaration of Trust (before you buy) - $110
    • Demand and Statement of Claim for Debt - NSW - $88
    • Demand and Summons for Debt - VIC - $88
    • Demand and Summons for Debt - WA - $88
    • Div 7A Loan Agreement - $65
    • Div 7A Loan Agreement for UPE - $65
    • Forgiveness of Debt - $121
    • Loan Agreement (No Security) - $110
    • Release of Unpaid Trust Entitlement - $121
    • Statutory Declaration - $0
    • The new small business restructure roll-over rules in practice (White Paper) - $55
  • Employment

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  • Company

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    • Commercial Lease - $275
    • Company (ELodgement) - $716
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    • Confidentiality Agreement (Non Disclosure) - $99
    • Co-Owners Agreement - $110
    • Debt Recognition (including pre-Div 7A Loans) - $33
    • Declaration of Trust (before you buy) - $110
    • Demand and Statement of Claim for Debt - NSW - $88
    • Demand and Summons for Debt - VIC - $88
    • Demand and Summons for Debt - WA - $88
    • Director‘s Indemnity Agreement - Compulsory Insurance - $197
    • Director‘s Indemnity Agreement - No Insurance - $197
    • Div 7A Loan Agreement - $65
    • Div 7A Loan Agreement for UPE - $65
    • Employment Contract - $120
    • Family Trust - Wind up/Vesting - $259
    • Forgiveness of Debt - $121
    • Independent Contractors Agreement - $110
    • Loan Agreement (No Security) - $110
    • Minutes for Members to Inspect Books - $33
    • Minutes for Resigning Director - $33
    • Opening Minutes for the Unit Trust - $33
    • Partnership Deed - $220
    • Power Of Attorney By Company - $99
    • Release of Unpaid Trust Entitlement - $121
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  • CPD Webinars

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    • Webinar On Demand - Foreign Trust Taxation Issues - $110
    • Webinar On Demand - Advising on Family Trusts in the 21st Century - $110
    • Webinar On Demand - AI in Professional Practices - Risks and Benefits - $110
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    • Webinar On Demand - Professional Advisers as Appointor of their Client’s Family Trust - $110
    • Webinar On Demand - Recent Changes in Family Law - $99
    • Webinar On Demand - Sexual Harassment Laws in Australia - $110
    • Webinar On Demand - Tax & Family Trusts - $99
    • Webinar On Demand - Testamentary Trusts 101 - $110
    • Webinar On Demand - Trust Distributions and Section 100A - $99
    • Webinar On Demand - When Directors are Personally Liable - $110
    • Webinar On Demand - Where Death Benefit Nominations Go Wrong - $110
  • All documents

    All documents

    • Acknowledgement of Trust (already own asset) - $165
    • Adopt Committee Recommendations kit - $33
    • Advanced Legal Health Check for Businesses - $18
    • Appoint a Committee kit - $33
    • Appoint an Alternate Director kit - $33
    • Appoint Managing Director & Confer Powers kit - $33
    • Buy a House with Friends Agreement - $110
    • Change Appointor and/or Guardian of Family Trust - $110
    • Change of Name of Family Trust - $110
    • Change Registered Office kit - $33
    • Change Trustee of Family Trust - $110
    • Codicil to change the Executor - $99
    • Commercial Lease - $275
    • Company (ELodgement) - $716
    • Company (No Elodgement) - $99
    • Company Constitution Update - $99
    • Confidentiality Agreement (Non Disclosure) - $99
    • Co-Owners Agreement - $110
    • CPD Webinar - End Of Financial Year SMSF Planning 2025 - $110
    • CPD Webinar - End Of Financial Year Tax Rollup 2025 - $110
    • CPD Webinar - Small Business Restructures and Director Penalty Notices - $110
    • CPD Webinar - Tax and Cryptocurrency – A Square Peg in a Round Hole - $110
    • CPD Webinar - UPEs and Div 7A – Implications of the Recent Bendel Decision - $110
    • CPD Webinar - When Directors are Personally Liable - $110
    • Dealing with Forgiven Debts (White Paper) - $55
    • Debt Recognition (including pre-Div 7A Loans) - $33
    • Declaration of Trust (before you buy) - $110
    • Demand and Statement of Claim for Debt - NSW - $88
    • Demand and Summons for Debt - VIC - $88
    • Demand and Summons for Debt - WA - $88
    • Derivative Risk Statement for SMSF - $65
    • Director‘s Indemnity Agreement - Compulsory Insurance - $197
    • Director‘s Indemnity Agreement - No Insurance - $197
    • Disclaimer - Email - $55
    • Div 7A Loan Agreement - $65
    • Div 7A Loan Agreement for UPE - $65
    • Employment - Conduct Issues Letter - $33
    • Employment - Employee Expenses Policy - $55
    • Employment - Performance Issues Letter - $33
    • Employment - Request for Medical Information - $33
    • Employment - Termination Letter - $33
    • Employment - Transferring Employee Letter - $33
    • Employment Contract - $120
    • Enduring Power of Attorney - NSW - $55
    • Enduring Power of Attorney - SA - $55
    • Enduring Power of Attorney - WA - $55
    • Enduring Power of Attorney (Financial, Personal/Health) - QLD - $55
    • Enduring Power of Guardianship - NSW - $55
    • Enduring Power of Guardianship - WA - $55
    • Family Trust - $165
    • Family Trust - Streaming & Bamford Update - $165
    • Family Trust - Update to Allow Change of Appointor and Guardian - $165
    • Family Trust - Update to allow Sole Trustee - $55
    • Family Trust - Update to Exclude Foreign Persons (NSW) - $198
    • Family Trust - Wind up/Vesting - $259
    • Forgiveness of Debt - $121
    • Independent Contractors Agreement - $110
    • Investment Strategy for Self Managed Super 15/16 - $65
    • Investment Strategy for Self Managed Super 16/17 - $65
    • Investment Strategy for Self Managed Super 17/18 - $65
    • Investment Strategy for Self Managed Super 18/19 - $65
    • Investment Strategy for Self Managed Super 19/20 - $65
    • Investment Strategy for Self Managed Super 20/21 - $65
    • Investment Strategy for Self Managed Super 21/22 - $65
    • Investment Strategy for Self Managed Super 22/23 - $65
    • Investment Strategy for Self Managed Super 23/24 - $65
    • Investment Strategy for Self Managed Super 24/25 - $65
    • Loan Agreement (No Security) - $110
    • Minutes for Members to Inspect Books - $33
    • Minutes for Resigning Director - $33
    • Opening Minutes for the Unit Trust - $33
    • Partnership Deed - $220
    • Pension Pack for Self Managed Super - $299
    • Power Of Attorney By Company - $99
    • Product Disclosure Statement (general) - $66
    • Product Disclosure Statement (Pension only) - $99
    • Release of Unpaid Trust Entitlement - $121
    • Remove a Managing Director kit - $33
    • Remove and Replace a Director kit - $44
    • Replace Company Secretary kit - $44
    • Self Managed Superannuation Fund Deed - $165
    • SMSF - Minute to Appoint Administrator - $33
    • SMSF - Minute to Appoint an Auditor - $33
    • SMSF - Minute to Approve Financial Statements - $33
    • SMSF - Minute to Insure The Members - $33
    • SMSF - Update Rules - $165
    • SMSF Limited Recourse Borrowing Arrangement - $330
    • SMSF Restricted Commercial Property Assessment - $695
    • SMSF Restricted Residential Property Assessment - $315
    • Statutory Declaration - $0
    • The new small business restructure roll-over rules in practice (White Paper) - $55
    • Transfer of Shares Kit - $0
    • Trust Distribution Minutes Library for 2008/09 - $99
    • Trust Distribution Minutes Library for 2009/10 - $99
    • Trust Distribution Minutes Library for 2010/11 - $99
    • Trust Distribution Minutes Library for 2011/12 - $99
    • Trust Distribution Minutes Library for 2012/13 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2012/13 - Single-Use - $110
    • Trust Distribution Minutes Library for 2013/14 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2013/14 - Single-Use - $110
    • Trust Distribution Minutes Library for 2014/15 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2014/15 - Single-Use - $110
    • Trust Distribution Minutes Library for 2015/16 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2015/16 - Single-Use - $110
    • Trust Distribution Minutes Library for 2016/17 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2016/17 - Single-Use - $110
    • Trust Distribution Minutes Library for 2017/18 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2017/18 - Single-Use - $110
    • Trust Distribution Minutes Library for 2018/19 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2018/19 - Single-Use - $110
    • Trust Distribution Minutes Library for 2019/20 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2019/20 - Single-Use - $121
    • Trust Distribution Minutes Library for 2020/21 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2020/21 - Single-Use - $121
    • Trust Distribution Minutes Library for 2021/22 - Multi-Use - $350
    • Trust Distribution Minutes Library for 2021/22 - Single-Use - $121
    • Trust Distribution Minutes Library for 2022/23 - Multi-Use - $363
    • Trust Distribution Minutes Library for 2022/23 - Single-Use - $132
    • Trust Distribution Minutes Library for 2023/24 - Multi-Use - $363
    • Trust Distribution Minutes Library for 2023/24 - Single-Use - $132
    • Trust Distribution Minutes Library for 2024/25 - Multi-Use - $363
    • Trust Distribution Minutes Library for 2024/25 - Single-Use - $132
    • Unit Trust - $165
    • Unit Trust - Add New Member Kit - $110
    • Webinar On Demand - Foreign Trust Taxation Issues - $110
    • Webinar On Demand - Advising on Family Trusts in the 21st Century - $110
    • Webinar On Demand - AI in Professional Practices - Risks and Benefits - $110
    • Webinar On Demand - Drafting Estate Planning Documents to meet Litigation Risks - $110
    • Webinar On Demand - Employee Share Schemes - $99
    • Webinar On Demand - Family Law and Trusts - $110
    • Webinar On Demand - How Binding are Financial Agreements - $110
    • Webinar On Demand - Professional Advisers as Appointor of their Client’s Family Trust - $110
    • Webinar On Demand - Recent Changes in Family Law - $99
    • Webinar On Demand - Sexual Harassment Laws in Australia - $110
    • Webinar On Demand - Tax & Family Trusts - $99
    • Webinar On Demand - Testamentary Trusts 101 - $110
    • Webinar On Demand - Trust Distributions and Section 100A - $99
    • Webinar On Demand - When Directors are Personally Liable - $110
    • Webinar On Demand - Where Death Benefit Nominations Go Wrong - $110
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Print Version Back

When Trust distributions are made to Non-Beneficiaries

Issue: 536 - Wednesday, 13 June 2018

In this Issue

  1. When Trust distributions are made to Non-Beneficiaries

1. When Trust distributions are made to Non-Beneficiaries

by John Wojtowicz (Director - Law Central Legal)

It’s not uncommon to find that distributions of trust income have been made to a person who is not a beneficiary under the trust deed. Often this is caused by the trustee mistakenly believing that the person is a beneficiary who was entitled to the income of the trust. This can happen for a wide variety of reasons, such as:

  • The trustee has not carefully read the entirety of the trust deed or is unaware of specific clauses;
  • A condition must be met before the beneficiary is entitled to income distributions and that condition has not been met; or
  • The trust deed was not drafted to represent the settlor’s intentions;

If you suspect that a payment from a trust might have been made to a non-beneficiary, then the first step is to determine if that person actually is a beneficiary. This can be done by a thorough examination of the trust deed. If it is determined that the person is not a beneficiary then there can be serious legal consequences. These consequences will affect the trust but can also have major tax implications for the beneficiaries and the trustees.

The Consequences

This issue was addressed by the Australian Federal Court in the case of Ramsden v Commissioner of Taxation. In Ramsden, conditions had to be met before another trust would become eligible as a beneficiary. These conditions had not been met, but the trustee made a trust distribution to the other trust anyway.  The trustee had clearly made a trust income distribution to a non-beneficiary. The court was required to decide what the legal effect was.

The Court concluded that it was beyond the trustee’s power to make payments to a non-beneficiary. Since the trustee was acting beyond the scope of his powers, the payment was held to be void ab initio (to be treated as invalid from the outset). This means that any income distribution made to a non-beneficiary will be nullified and it is to be treated as if it never took place. This does not sound too problematic, but it can lead to some undesirable tax implications for beneficiaries and the trustees.

The Tax Consequences

A trust is not a taxable entity and therefore does not pay its own income tax. The income of a trust is taxed under Division 6 of Part III of the Income Tax Assessment Act 1936 (Cth). Under the Act all income made by the trust in the financial year will be taxed and paid by either the beneficiaries or the trustee.

The amount of tax which is allocated to each person/entity is set out in the Act. Any income which is earned by the trust in the financial year will be taxed to a beneficiary who is ‘presently entitled’ to the income. ‘Presently entitled’ has been defined as: able to make an immediate demand of the money from the trustee. It is important to note that the beneficiary doesn’t have to actually receive the income, they only have to be entitled to make a demand for it. Any income which no beneficiary is presently entitled to will be taxed to the trustee.

If a distribution of trust income becomes void ab initio because it was made to a non-beneficiary, then no beneficiary would be presently entitled to that income. Under the Act, any income which no beneficiary is presently entitled to, will be taxed to the trustee. This can be problematic for two reasons. Firstly, the trustee could receive a tax assessment which they were not expecting.

Secondly, the trustee is often taxed at the maximum rate.

It’s undesirable for the trustee to be taxed at this higher rate when beneficiaries are taxed according to their respective income tax bracket, which can be much lower. Many modern trusts insert a default beneficiary clause in the trust deed to prevent the trustee from paying the higher tax rate.

Default Beneficiary Clauses

One way to prevent the trustee paying the tax is to ensure that there is always a ‘presently entitled’ beneficiary who will be taxed instead. Many modern trusts include a default beneficiary clause which states that any unallocated income will be held on trust for a specific person or persons, the “default beneficiary”. This means that the default beneficiary will always be taxed instead of the trustee. This can be useful to lower the tax rate for trust income, but the default beneficiary will still end up with a large tax assessment for income they may not even have received.

This was the case in Ramsden. The payment to a non-beneficiary was void ab initio and the trust had a default beneficiary who then became entitled to the distribution. The default beneficiary knew she was a general beneficiary but had not received any income nor knew she was entitled to any. She was sent a notice from the Commissioner of Taxation saying she had misreported her income and was required to pay extra tax.

Understandably, she was not impressed with the prospect of paying a large amount of income tax on money that she had never received. She attempted to renounce her entitlement by affidavit. If she was successful she would no longer be a default beneficiary. That meant she would no longer be ‘presently entitled’ to the income and therefore she would not be liable to pay the tax on trust income.

On appeal, the Court held that it was possible for a default beneficiary to disclaim their entitlement. If that occurred and there was no other beneficiary who was ‘presently entitled,’ then the trustee once again became liable to pay the tax. Unfortunately for the default beneficiary in Ramsden, even though she could have disclaimed her entitlement, it was not done within a reasonable time. The Court held that since she had not effectively disclaimed, she was still a default beneficiary and therefore liable.

Gold and Platinum viewers read on for information on what is required to properly disclaim a default interest in a trust. 

Platinum Members, click here to view content

The above case highlights the importance of Trustees understanding the terms of the trust deed before making income distributions. Correctly identifying who are eligible beneficiaries and ensuring that the distribution minutes are properly worded can help avoid potentially costly legal issues and unwanted tax outcomes.

Disclaimer: The content of this Bulletin is general information only. It is not legal advice. Law Central recommends you seek professional advice before taking any action based on the content of this Bulletin.

Related documents:

  • Trust Distribution Minutes Library for 2017/18 (Single-Use)
  • Trust Distribution Minutes Library for 2017/18 (Multi-Use)
  • Family Trust - Streaming & Bamford Update
  • Family Trust - Update to Exclude Foreign Persons (NSW)
  • Change Trustee of Family Trust

Related webinars:

  • Webinar Recording - Managing Trust UPEs - How To Do It And Potential Tax Exposures
  • Webinar Recording - Trust Tax Issues And CGT Small Business Concessions
  • Webinar Recording - Unit Trust V Family Trust - Which Is Better For Investing?
  • Webinar Recording - Winding Up Trusts And Tax Consequences


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