Australia: Proposed amendments to income tax law following ATO’s alert on managed investment trust (MIT) structures

The announcement follows the ATO’s taxpayer alert, which was released on March 7, 2025.

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March 14, 2025

The Federal Government will amend income tax laws to ensure legitimate investors can continue to access concessional withholding tax rates in Australia.

The announcement follows the Australian Taxation Office's (ATO) taxpayer alert (TA 2025/1) related to concerns over arrangements to restructure an existing trust or other inward investment structure to inappropriately access the managed investment trust (MIT) withholding regime (including deemed capital gains tax (CGT) treatment), which was released on March 7, 2025. Read TaxNewsFlash

Proposed amendments

The amendments would make clear that trusts ultimately owned by a single widely held investor (e.g., a foreign pension fund) are able to access the MIT concessions.

This measure would apply to fund payments from March 13, 2025.

The announcement states that the measure aims to "complement" TA 2025/1, to make it clear that the ATO will take enforcement action when taxpayers engage in "non-commercial restructures to inappropriately access MIT withholding tax benefits."

The amendments would not affect the ATO's power to act using Part IVA when “captive MITs” involve other characteristics of the kind set out in TA 2025/1.


For more information, contact a tax professional with the KPMG member firm in Australia:

Matt Ervin | mattervin@kpmg.com.au

Shirley Lam | slam1@kpmg.com.au

Tasha Chen | tchen53@kpmg.com.au

Alexandra Macolino | amacolino@kpmg.com.au

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