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DUTIES ACT 2001 - SECT 123
Exemption—particular distribution of dutiable property to a beneficiary
123 Exemption—particular distribution of dutiable property to a beneficiary
(1) Transfer duty is not imposed on a dutiable transaction that is the
transfer, or agreement for the transfer, of dutiable property to a
beneficiary, or the surrender of a trust interest of a beneficiary, to the
extent it represents the beneficiary’s trust interest on a distribution by
the trustee under a trust.
(2) However, subsection (1) applies only if the
commissioner is satisfied— (a) the dutiable property being distributed to
the beneficiary— (i) is the same property held on trust at the time the
beneficiary acquired the beneficiary’s trust interest; or
(ii) represents
the proceeds of re-investment of property held on trust when the beneficiary
acquired the beneficiary’s trust interest in the trust; and
(b) under this
chapter— (i) transfer duty imposed has been paid for the
dutiable transactions that are the creation of a trust of the
dutiable property or the trust acquisition of the beneficiary’s trust
interest; or
(ii) the transactions are exempt from transfer duty.
(3) The
trust acquisition of a beneficiary’s trust interest is not exempt from
transfer duty for the purposes of subsection (2) (b) (ii) if transfer duty is
not imposed on the acquisition because of the operation of section 66 (2) .
(4) Also, subsection (1) applies only to the extent transfer duty is paid for
the distribution of the dutiable property if— (a) a concession for
transfer duty has been provided under part 10 for the dutiable property; and
(b) any of the following applies— (i) if the property of the trust is
business property used to carry on a business of primary production—the
beneficiary is not a defined relative of the person who created the trust;
(ii) if the property of the trust is business property used to carry on a
prescribed business—the beneficiary is not a descendant of the person who
created the trust;
(iii) the property of the trust is not, at the time of the
distribution, business property or the business is not intended to be carried
on by the beneficiary, whether alone or with others.
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