Item 23 - Other assessable foreign source income (Trust Returns)
A trust MUST complete a losses schedule if it:
Has a foreign loss component of tax losses deducted in the 2017-18 income year or carried forward to later income years
Has an interest in a controlled foreign company (CFC) that has current year losses greater than $100,000
Has an interest in a CFC which has CFC losses carried forward to later income years greater than $100,000.
If the trust received assessable dividends directly or indirectly from a New Zealand franking company, the dividends (including any supplementary dividends) must be declared as assessable foreign income even if dividend withholding tax was deducted in New Zealand. The trust can claim a Foreign income tax offset for any New Zealand dividend withholding tax paid on the dividend. Refer to the Foreign income return form guide (NAT 1840) to work out whether the dividend is assessable income.
If the dividend from a New Zealand company is assessable income, then the amount of the Australian franking credit attached to the dividend is also assessable income. Subject to satisfying certain qualifying criteria, the beneficiaries or trustee may be entitled to a share of the benefit of Australian franking credit attached to the franked dividend. Refer to Appendix 1 in the ATO Trust return instructions.
- The dividend may also include an amount of New Zealand imputation credits. Australian residents cannot claim any amounts of New Zealand imputation credits.
- All dividend income, deductions and foreign tax paid must be converted into Australian dollars. The amount of Australian franking credits should already be expressed in Australian dollars.