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Detection and prevention of illegal tax avoidance, Part IVA anti-avoidance triggers, circular arrangements, and sham transactions. Ensures all recommendations are legally defensible and do not constitute tax fraud.
npx skill4agent add cleanexpo/ato tax-fraud-detection| Factor | Description | Red Flag |
|---|---|---|
| (a) | Manner of scheme | Unusual or contrived steps |
| (b) | Form and substance | Form doesn't match economic substance |
| (c) | Time of entry | Arrangement timed around FY boundaries |
| (d) | Result achieved | Result only makes sense if tax benefit obtained |
| (e) | Change in financial position | Parties' positions unchanged except for tax |
| (f) | Change in financial position (others) | Related parties benefit disproportionately |
| (g) | Tax consequences | Scheme designed to exploit specific provisions |
| (h) | Connection between parties | Related party involvement |
| Indicator | Risk Level | Action |
|---|---|---|
| Routine software development claimed as R&D | HIGH | Verify technical uncertainty existed |
| IT operations/maintenance claimed as R&D | HIGH | Verify systematic investigation occurred |
| Cloud hosting/infrastructure claimed as R&D | MEDIUM | Verify experimental purpose |
| Consulting fees claimed as R&D | MEDIUM | Verify consultant performed R&D activities |
| No technical uncertainty documented | CRITICAL | Cannot claim - Division 355 requires uncertainty |
| Activities completed before registration | HIGH | May indicate retrospective claim |
| Indicator | Risk Level | Action |
|---|---|---|
| Circular loan arrangements | CRITICAL | Loan → dividend → repayment → new loan |
| Loans at zero interest | HIGH | Deemed dividend unless compliant agreement |
| No written agreement | HIGH | Must exist before lodgment date |
| Loans to associates/related trusts | MEDIUM | Check UPE and sub-trust arrangements |
| Artificially low repayments | MEDIUM | Below minimum yearly repayment |
| Backdated loan agreements | CRITICAL | Fraud indicator |
| Indicator | Risk Level | Action |
|---|---|---|
| Private expenses claimed as business | CRITICAL | No nexus to income production |
| Capital expenditure claimed as revenue | HIGH | Must be capitalised and depreciated |
| Duplicate deductions across entities | CRITICAL | Same expense claimed by multiple entities |
| Inflated amounts vs market value | HIGH | Transfer pricing / Part IVA risk |
| Related party payments above market | HIGH | Non-arm's length dealing |
| Indicator | Risk Level | Action |
|---|---|---|
| Artificial losses via uncommercial deals | CRITICAL | Part IVA cancellation of loss |
| Loss trafficking (company acquisition for losses) | CRITICAL | COT/SBT specifically prevents this |
| Circular transactions generating losses | CRITICAL | Sham arrangement |
| Losses from non-commercial activities | HIGH | Division 35 restrictions apply |
| Losses from tax shelter arrangements | HIGH | Division 245 debt forgiveness rules |
| Category | Description | Risk |
|---|---|---|
| Ordinary commercial | Normal business transaction | LOW |
| Tax-effective | Structured for tax efficiency, genuine commercial purpose | LOW-MEDIUM |
| Aggressive | Tax benefit is significant motivation, some commercial substance | MEDIUM-HIGH |
| Artificial | No genuine commercial purpose, designed for tax benefit | HIGH-CRITICAL |
| Sham | Parties never intended to give effect to arrangement | CRITICAL |
<fraud_assessment>
<arrangement>Description of arrangement being assessed</arrangement>
<date>YYYY-MM-DD</date>
<part_iva_analysis>
<scheme_exists>true|false</scheme_exists>
<tax_benefit_amount>$X</tax_benefit_amount>
<factors>
<factor id="a" name="Manner of scheme" score="0-10">
<assessment>Analysis</assessment>
</factor>
<!-- Factors b through h -->
</factors>
<overall_score>Percentage</overall_score>
<risk_level>low|medium|high|critical</risk_level>
</part_iva_analysis>
<red_flags>
<flag severity="critical|high|medium|low">
<description>Specific concern</description>
<legislation>Relevant provision</legislation>
</flag>
</red_flags>
<recommendation>
<action>proceed|modify|abandon</action>
<conditions>What must be true to proceed safely</conditions>
<professional_review_required>true|false</professional_review_required>
</recommendation>
</fraud_assessment>| Case | Principle | Application |
|---|---|---|
| FCT v Spotless Services (1996) 186 CLR 404 | Dominant purpose test is objective | Don't rely on stated commercial reasons |
| FCT v Hart [2004] HCA 26 | Part IVA applies to individual steps | Each step of arrangement assessed |
| FCT v Futuris Corporation [2008] HCA 32 | Commissioner's discretion is broad | Part IVA applies broadly |
| Harding v FCT [2019] FCAFC 29 | Interposed entity arrangements | Applicable to trust/company structures |