Comparative analysis of trust taxation: a deep dive into Australian and Canadian regimes

Charles Ho Wang Mak, Matthew Chippin

Research output: Contribution to journalArticle (Academic Journal)peer-review

Abstract

This article examines trust taxation in Australia and Canada, focusing on the Australian Income Tax Assessment Act 1936's Section 97(1) and the Canadian Income Tax Act’s Section 94.1. It explores the Australian Carter and the Canadian Fundy Settlement cases, highlighting their implications for tax avoidance strategies. The article employs a comparative methodology to provide insights into the policy and legislative nuances shaping trust distribution taxation in these jurisdictions. The goal is to bridge traditional legal frameworks with modern fiscal challenges and inform future reforms in common-law countries.
Original languageEnglish
Pages (from-to)189-193
Number of pages5
JournalTrusts & Trustees
Volume30
Issue number4
Early online date12 Feb 2024
DOIs
Publication statusPublished - 1 May 2024

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