Volume: 28, Issue: 10 (2016)
IS 16/03: Tax residence 
 Description: The analysis in this Interpretation Statement is in three parts. The first part (from [17]) deals with the rules governing the residence of natural persons (individuals), and discusses the relationship between those rules and the residence articles contained in New Zealand's double taxation agreements (DTAs). It also discusses the transitional resident rules. The second part (from [290]) explains the residence rules for companies. It also explains the consequences of a company being a dual resident, and briefly discusses the relationship of the company residence rules to the controlled foreign company (CFC) regime. The final part (from [414]) of this Interpretation Statement deals with residence and the taxation regime for trusts.  
Categories:
COMPANY  
CONTROLLED FOREIGN COMPANY (CFC)  
DOUBLE TAXATION AGREEMENT  
PERMANENT PLACE OF ABODE  
RESIDENCY  
RESIDENCY - 183-DAY RULE  
RESIDENCY - 325-DAY RULE  
RESIDENCY - BENEFICIARY RESIDENCE  
RESIDENCY - CHANGES IN RESIDENCE  
RESIDENCY - DAY-COUNT RULES  
RESIDENCY - DUAL RESIDENT COMPANIES  
RESIDENCY - PERMANENT PLACE OF ABODE  
RESIDENCY - RELEVANCE OF DOUBLE TAXATION AGREEMENTS  
RESIDENCY - RESIDENCE AND TRUSTS  
RESIDENCY - RESIDENCE OF FOREIGN COMPANIES  
RESIDENCY - RESIDENCE OF NATURAL PERSONS (INDIVIDUALS)  
RESIDENCY - TRUSTEE RESIDENCE  
TRUST  
 
Updated: 25 / 02 / 2019 
Reference:  
2016_28_10_001 
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Commissioner's operational position relating to the application of IS 16/03 
 Description: As a result of the Commissioner's updated position, there may be some situations in which the application of IS 16/03 gives a different result from the application of the Interpretation Statement it replaces - IS 14/01. As the legal analysis in IS 16/03 represents the correct view of the law, taxpayers can ask Inland Revenue to apply the analysis contained in IS 16/03 to tax positions taken in earlier years. The Commissioner will consider such requests consistently with the principles set out in the Standard Practice Statement on section 113 (SPS 16/01 - Requests to amend assessments) on a case by case basis.  
Categories:
COMPANY  
CONTROLLED FOREIGN COMPANY (CFC)  
DOUBLE TAXATION AGREEMENT  
PERMANENT PLACE OF ABODE  
RESIDENCY  
RESIDENCY - 183-DAY RULE  
RESIDENCY - 325-DAY RULE  
RESIDENCY - BENEFICIARY RESIDENCE  
RESIDENCY - CHANGES IN RESIDENCE  
RESIDENCY - DAY-COUNT RULES  
RESIDENCY - DUAL RESIDENT COMPANIES  
RESIDENCY - PERMANENT PLACE OF ABODE  
RESIDENCY - RELEVANCE OF DOUBLE TAXATION AGREEMENTS  
RESIDENCY - RESIDENCE AND TRUSTS  
RESIDENCY - RESIDENCE OF FOREIGN COMPANIES  
RESIDENCY - RESIDENCE OF NATURAL PERSONS (INDIVIDUALS)  
RESIDENCY - TRUSTEE RESIDENCE  
TRUST  
 
Updated: 25 / 02 / 2019 
Reference:  
2016_28_10_002 
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Determination FDR 2016/05: Use of fair dividend rate method for a type of attributing interest in a foreign investment fund 
 Description: This determination applies to Class B and Class C share investments in the Kynikos Fund held by New Zealand resident investors.  
Categories:
ATTRIBUTING INTEREST  
FAIR DIVIDEND RATE METHOD  
FOREIGN INVESTMENT FUND (FIF)  
INTEREST  
 
Referenced Entities: 
 Updated:  
Reference:  
2016_28_10_003 
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Determination FDR 2016/06: Use of fair dividend rate method for a type of attributing interest in a foreign investment fund 
 Description: This determination applies to shares held in the True Partners Fund.  
Categories:
ATTRIBUTING INTEREST  
FAIR DIVIDEND RATE METHOD  
FOREIGN INVESTMENT FUND (FIF)  
INTEREST  
 
Legislation: Referenced Entities: 
 
 Updated:  
Reference:  
2016_28_10_004 
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Withdrawal of SPS 05/02: Income Tax Act 2004 - Penalties and interest arising from unintended legislative changes 
 Description: SPS 05/02 sets out the Commissioner's practice regarding the imposition of shortfall penalties and use-of-money interest when a tax position is taken under the Income Tax Act 2004 (ITA 2004) and a confirmed unintentional legislative change gives rise to a tax shortfall.  Updated:  
Reference:  
2016_28_10_005 
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IS 16/03: Tax residence 
 Description: The analysis in this Interpretation Statement is in three parts. The first part (from [17]) deals with the rules governing the residence of natural persons (individuals), and discusses the relationship between those rules and the residence articles contained in New Zealand's double taxation agreements (DTAs). It also discusses the transitional resident rules. The second part (from [290]) explains the residence rules for companies. It also explains the consequences of a company being a dual resident, and briefly discusses the relationship of the company residence rules to the controlled foreign company (CFC) regime. The final part (from [414]) of this Interpretation Statement deals with residence and the taxation regime for trusts.  
Categories:
COMPANY  
CONTROLLED FOREIGN COMPANY (CFC)  
DOUBLE TAXATION AGREEMENT  
PERMANENT PLACE OF ABODE  
RESIDENCY  
RESIDENCY - 183-DAY RULE  
RESIDENCY - 325-DAY RULE  
RESIDENCY - BENEFICIARY RESIDENCE  
RESIDENCY - CHANGES IN RESIDENCE  
RESIDENCY - DAY-COUNT RULES  
RESIDENCY - DUAL RESIDENT COMPANIES  
RESIDENCY - PERMANENT PLACE OF ABODE  
RESIDENCY - RELEVANCE OF DOUBLE TAXATION AGREEMENTS  
RESIDENCY - RESIDENCE AND TRUSTS  
RESIDENCY - RESIDENCE OF FOREIGN COMPANIES  
RESIDENCY - RESIDENCE OF NATURAL PERSONS (INDIVIDUALS)  
RESIDENCY - TRUSTEE RESIDENCE  
TRUST  
 
Updated: 25 / 02 / 2019 
Reference:  
2016_28_10_01 
Feedback
 | 
Commissioner's operational position relating to the application of IS 16/03 
 Description: As a result of the Commissioner's updated position, there may be some situations in which the application of IS 16/03 gives a different result from the application of the Interpretation Statement it replaces - IS 14/01. As the legal analysis in IS 16/03 represents the correct view of the law, taxpayers can ask Inland Revenue to apply the analysis contained in IS 16/03 to tax positions taken in earlier years. The Commissioner will consider such requests consistently with the principles set out in the Standard Practice Statement on section 113 (SPS 16/01 - Requests to amend assessments) on a case by case basis.  
Categories:
COMPANY  
CONTROLLED FOREIGN COMPANY (CFC)  
DOUBLE TAXATION AGREEMENT  
PERMANENT PLACE OF ABODE  
RESIDENCY  
RESIDENCY - 183-DAY RULE  
RESIDENCY - 325-DAY RULE  
RESIDENCY - BENEFICIARY RESIDENCE  
RESIDENCY - CHANGES IN RESIDENCE  
RESIDENCY - DAY-COUNT RULES  
RESIDENCY - DUAL RESIDENT COMPANIES  
RESIDENCY - PERMANENT PLACE OF ABODE  
RESIDENCY - RELEVANCE OF DOUBLE TAXATION AGREEMENTS  
RESIDENCY - RESIDENCE AND TRUSTS  
RESIDENCY - RESIDENCE OF FOREIGN COMPANIES  
RESIDENCY - RESIDENCE OF NATURAL PERSONS (INDIVIDUALS)  
RESIDENCY - TRUSTEE RESIDENCE  
TRUST  
 
Updated: 25 / 02 / 2019 
Reference:  
2016_28_10_02 
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Determination FDR 2016/05: Use of fair dividend rate method for a type of attributing interest in a foreign investment fund 
 Description: This determination applies to Class B and Class C share investments in the Kynikos Fund held by New Zealand resident investors.  
Categories:
ATTRIBUTING INTEREST  
FAIR DIVIDEND RATE METHOD  
FOREIGN INVESTMENT FUND (FIF)  
INTEREST  
 
Referenced Entities: 
 Updated:  
Reference:  
2016_28_10_03 
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Determination FDR 2016/06: Use of fair dividend rate method for a type of attributing interest in a foreign investment fund 
 Description: This determination applies to shares held in the True Partners Fund.  
Categories:
ATTRIBUTING INTEREST  
FAIR DIVIDEND RATE METHOD  
FOREIGN INVESTMENT FUND (FIF)  
INTEREST  
 
Referenced Entities: 
 
 Updated:  
Reference:  
2016_28_10_04 
Feedback
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Withdrawal of SPS 05/02: Income Tax Act 2004 - Penalties and interest arising from unintended legislative changes 
 Description: SPS 05/02 sets out the Commissioner's practice regarding the imposition of shortfall penalties and use-of-money interest when a tax position is taken under the Income Tax Act 2004 (ITA 2004) and a confirmed unintentional legislative change gives rise to a tax shortfall.  Updated:  
Reference:  
2016_28_10_05 
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