Bloomingdale Florists Pty. Ltd. is an Australian Retail Company which operates a florist shop in Sydney. It is an Australian Resident Private Company for Tax Purposes. It is also a Small Business Entity for tax purposes. The Accounting Profit and Loss Statement for the year ended 30 June 2018 is as follows:

LEGL602 TAXATION LAW THOMAS MORE LAW SCHOOL SEMESTER 2, 2019

Question 1 (15 marks):

Bloomingdale Florists Pty. Ltd. is an Australian Retail Company which operates a florist shop in Sydney. It is an Australian Resident Private Company for Tax Purposes. It is also a Small Business Entity for tax purposes. The Accounting Profit and Loss Statement for the year ended 30 June 2018 is as follows:

 

$

Sales

600,000

Exempt income

10,000

Less: COGS

 

Opening stock

50,000

Purchases

40,000

Closing stock

60,000

COGS

30,000

Gross Profit

580,000

 

 

Less: Operating expenses

 

Advertising

14,000

Bank Charges/Fees

5,000

Accounting Depreciation

12,000

Fringe benefits tax

5,000

Gifts

20,000

Electricity and heating

30,000

Provision for Long Service Leave

20,000

Provision for Doubtful Debts

17,000

Borrowing Expenses

3,000

Rent

50,000

Repairs

15,000

Stationary

8,000

 

Wages to employees

200,000

Director’s salary

50,000

Fines for misleading advertising

5,000

Net Profit

$126,000

 

Additional Information

 

(1)        The actual long service leave paid in cash during the year was $10,000.

 

(2)        The bad debts written off during the year were $15,000.

 

(3)        The repairs of $15,000 consisted of painting the company premises for $5,000 and replacing the rotting wooden office windows with new steel windows for $10,000.

(4)    The Gifts were as follows:                             $

      Royal Sydney Hospital                     10,000

     Paramatta Eels League Club          $10,000

 

(5)     Capital allowances for tax purposes amount to $10,000.

 

(6)     For accounting purposes the company values its closing stock using the LIFO Method.

 

The Opening stock value for tax purposes was $50,000.

 

The FIFO Method however produces the following results for stock value at the end of the year:

$

Cost Price                                              52,000

Replacement Price                                 53,000

Market Selling Value                               54,000

 

(7)     The company borrowed money from the bank to acquire the new depreciating assets. The loan was for 3 years and was taken out on 1 July 2017. The total borrowing costs of $3,000 were claimed as an accounting expense.

(8)     The company had outstanding trade debts from retail sales of $20,000 on 30 June 2018. These were included in the sales figure in the Profit and Loss Statement.

(9)        For the year ending 30 June 2018, the company received the following dividends which are not included in the profit and loss statement:

·       Dividend from an Australian Resident company (80% franked)           $9,000

·       Dividend from an Australian Resident company (100% franked)         $5,000

·       Dividend from a Foreign Resident company (No tax withheld)            $1,000

 

(10)   The Tax Commissioner has made a ruling regarding the Director’s salaries and considers

$40,000 to be a reasonable salary.

 

(11)    Prior years’ income losses:

The company has $20,000 unabsorbed income losses from the year ending 30 June 2017. The shareholding of the company has not changed since that time. However in July 2016 the company acquired a market research company.

 

REQUIRED:

 

Demonstrate the calculation process to determine the Company’s Taxable Income and Tax Payable Liability for the year ended 30 June 2018. Note – You must give reasons for your inclusion or exclusion of any of the above listed items. If you fail to explain your inclusion or exclusion of any item, you will lose marks.

For example:

$1,000                                               Tax Agent’s Fees – s. 25-5, and a brief discussion of the law in this context.

 

 

 

 

Question 2 (10 marks):

 

On 16 September 1982 Matchstick Ltd acquired 50 hectares of rural land in Toowoomba. At the time the land was zoned agricultural, but the directors were aware that in the future that the land could be rezoned to permit subdivision and that there were rumours that the government was considering building a highway to connect the area with Brisbane. The directors of the company stated that the land was acquired for the business of growing trees and retention as a long-term investment and not for resale at a profit. The trees on the land were to be grown and sold to match stick manufacturers. The company entered into several forward supply contracts with various match stick manufacturers.

 

The growing and sale of wood proved to be very successful and in 2005 the company purchased another 40 hectares of land adjacent to the original 50 hectares. Unfortunately, the demand for the company’s wood began to diminish due to the decline in the number of people smoking and concerns about the environment. In August 2017, Strike a Light Pty Ltd, one of the manufacturers to whom Matchstick Ltd supplied wood, paid Matchstick Ltd $1,000,000 in exchange for Matchstick Ltd’s agreement to terminate the contract. This contract represented 80% of Matchstick Ltd’s sales of wood to all suppliers.

 

In November 2017, at the next annual general meeting, the shareholders of Matchstick Ltd decided that the tree growing business was no longer sufficiently profitable to justify the company’s continued involvement in that business. At the same time, the land had become available for development, as the zoning rules had changed to permit subdivision. The directors of Matchstick Ltd therefore decided to take the necessary steps to have the land rezoned for leasing the subdivided land to agricultural and industrial tenants on long-term leases. Consequently, the Directors decided to subdivide the land, install water and electricity and set aside land for a smallshopping centre. After completing these activities in February 2018, the directors changed their mind and instead of leasing the land they sold all the land and by June 2018 had realised a profit of $10,000,000.

 

REQUIRED:

 

 

Advise the directors of Matchstick Ltd as to the income tax consequences of receiving the compensation of $1,000,000 and the profit from the sale of the land for $10,000,000. In your answer please refer to the appropriate legislation, case law and tax rulings.

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