Cyter Tax
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Cyter Tax is the Australian tax AI for research, advice and analysis. Every answer is cited to a statute, ATO ruling or case paragraph — verifiable in seconds.

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Client X Pty Ltd

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Change of Trust Beneficiary
CGT Main Residence Exemption
Division 7A Loan
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Statutes
  • Income Tax Assessment Act 1997
  • Income Tax Assessment Act 1936
  • A New Tax System (Goods and Services Tax) Act 1999
  • Taxation Administration Act 1953
  • Fringe Benefits Tax Assessment Act 1986
  • Petroleum Resource Rent Tax Assessment Act 1987
  • Income Tax (Transitional Provisions) Act 1997
  • International Tax Agreements Act 1953
  • Tax Agent Services Act 2009
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Trust CGT

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Unfrankable Distributions from Share Capital Account: A distribution is unfrankable if it is sourced, directly or indirectly, from a company’s share capital account. 3 This applies to distributions that constitute a reduction or return of share capital, even if labelled as a dividend. 4 The definition of a share capital account includes an account a company keeps of its share capital, or any other account where the first amount credited was share capital. 5 Therefore, any portion of a selective buyback that is a return of share capital cannot be franked.

Benchmark Franking Percentage: A corporate tax entity franks a distribution by allocating a franking credit to it. 6 The benchmark franking percentage is a key concept in determining the maximum franking without penalty. If an entity franks a frankable distribution at a percentage that exceeds its benchmark franking percentage for the franking period, it is liable to pay over-franking tax. 7 This effectively sets the benchmark franking percentage as the maximum franking allowed without incurring a penalty.

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Trust CGT

If a trustee has a power to change the beneficiaries under a trust and exercises that power, does it cause a CGT event to occur?

In Short: A trustee's valid exercise of a power to change beneficiaries under a trust generally does not cause a Capital Gains Tax (CGT) event to occur, specifically CGT events E1 or E2, unless the change terminates the existing trust and creates a new one, or causes an asset to be held under a separate charter of obligations.

Relevant Legislation: Income Tax Assessment Act 1997 (Cth), s 104-5 — provides a summary of CGT events, including E1, E2, E5, E6, E7, E8, and A1.

Relevant Case Law and Ruling: TR 2018/6 — confirms that amending a trust's vesting date through a valid exercise of power in a trust deed or court approval does not trigger CGT event E1.

CGT Events E1 and E2: A change in the terms of a trust, including the addition or exclusion of beneficiaries, pursuant to a valid exercise of a power in the trust deed, will generally not cause CGT event E1 or E2 to happen.

CGT Event E5: CGT event E5 occurs if a beneficiary becomes absolutely entitled to a CGT asset of a trust as against the trustee. For a beneficiary to be absolutely entitled, they must have a vested and indefeasible interest in the entire trust asset and the right to call for its transfer.

CGT Events E6 and E7: CGT event E6 happens if a trustee disposes of a CGT asset to a beneficiary in satisfaction of an income right, and E7 happens for a capital right.

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the client wants to remove a beneficiary from their family trust. they are allowed to do so under the trust deed. they want to know whether this would cause a CGT event to occur in respect of the assets held in the trust.
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Update this section using my Cyter Tax research on CGT events E6 and E7. Tighten the wording and add citations to the rulings.
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Cyter Tax Corpus

Every Australian tax source, plus yours

No setup required. The entire Cyter Tax Corpus is indexed and searched after every question.

Cyter Tax comes pre-loaded with every major piece of Australian tax legislation, the full library of ATO rulings across all 8 ruling types, and a comprehensive database of Federal Court, High Court, and AAT tax decisions.

Need to add your own internal memos, prior advice, or client documents? Upload them and Cyter indexes them alongside the official corpus — searchable in the same query.

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Statutes

ITAA 1936ITAA 1997GST Act 1999FBT Act 1986Tax Admin Act 1953

ATO Rulings

TRTDGSTRMTLCRPCGPS LAPrivate Rulings

Case Law

High CourtFederal CourtState Supreme CourtsART Decisions

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Your own documents
The Numbers

Junior associate vs. Cyter Tax

Annual cost
Junior
$65,000 — $80,000
Cyter Tax
Pay as you go
Research speed
Junior
2–4 hours per question
Cyter Tax
30 seconds
Availability
Junior
9–5, minus leave
Cyter Tax
24/7/365
Corpus coverage
Junior
Memory + manual search
Cyter Tax
Thousands of statutes, cases & rulings
Citation accuracy
Junior
Human error risk
Cyter Tax
Verified & linked to source
Ramp-up time
Junior
6–12 months training
Cyter Tax
Ready immediately
Scales with workload
Junior
Hire more people
Cyter Tax
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