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How can I prevent a payment / 'loan? from my Company to me been treated as an unfranked dividend?

The following payments and loans are not treated as dividends under Section 109 of Division 7A of Income Tax Assessment Act 1936 (ITAA 1936):

1. A payment of a genuine debt;

2. A payment / loan to another company;

3. A loan made in the normal course of business on commercial terms;

4. A loan meeting specific minimum interest rate and maximum term criteria;

5. For loans made in the 2004 / 2005 or later income year that is repaid or put on a commercial footing before the company's lodgment day;

6. A distribution or loan made by a liquidator;

7. A loan made solely for the purpose of enabling a shareholder or their associate to acquire an employee share scheme;

8. Certain Amalgamated loans; and

9. A demerger dividend.