Effective dates for MLI between Malaysia and New Zealand
On 1 June 2021, the Multilateral Convention (2016) (MLI) entered into force in respect of Malaysia and the Malaysia - New Zealand Income Tax Treaty will be covered and affected by the MLI. For New Zealand and Malaysia, the MLI takes effect on 1 January 2022 with respect to taxes withheld at source on amounts paid or credited to non-residents, and on 1 December 2021 with respect to other taxes withheld at source to on amounts paid or credited to non-residents.
Early withdrawal from income equalisation scheme - Canterbury flooding
On 1 June 2021, the Minister for Rural Communities, Damien O’Connor, declared the flooding affecting the Canterbury region as a medium-scale adverse event. It is affecting those taxpayers’ ability to comply with tax obligations. Inland Revenue has discretion to allow early refunds, particularly in such events, from the income equalisation scheme. All applications for an early refund must be in writing and it will take approximately 20 days for Inland Revenue to process.
Commissioner’s discretion to remit interest on Canterbury Flood Event
On 8 June 2021, the Tax Administration (Canterbury Flood Event) Order 2021 (“The Order”) came into force. The Order declares the Canterbury Flood Event to be an emergency event for the purpose of s 183ABA of the Tax Administration Act 1994. The Order will apply to taxpayers that are physically prevented by the Canterbury Flood Event from making a payment required by tax law by the due date. The effect is that taxpayers may ask the Commissioner to remit interest charged under Part 7 of the Tax Administration Act 1994 for failing to make payments on a due date. The Commissioner may then remit the interest if she is satisfied that it is equitable that the interest be remitted; the taxpayer asked for the relief as soon as practicable; and the taxpayer made the payment as soon as practicable. The Order expires and is revoked on 31 August 2021.
Deemed rate of return on foreign investment fund attributing interests
On 18 June 2021, the Income Tax (Deemed Rate of Return on Attributing Interests in Foreign Investment Funds, 2020-21 Income Year) Order 2021 (“The Order”) came into effect. The Order sets, for the 2020–21 income year, the deemed rate of return used to calculate foreign investment fund income under the deemed rate of return calculation method set out in s EX 55 of the Income Tax Act 2007, to be 4.43% (down from 5.05% for the 2019-20 income year).
Extension of R&D tax incentive application due dates
Inland Revenue has published an update that the Minister of Revenue David Parker, has agreed with a due date extension to 31 August 2021 for year one (2019-20 income year) supplementary returns, and year two (2020-21 income year) general approvals and criteria and methodologies (CAM) approvals. The Minister will include this extension in the next tax Bill which is due to be introduced to Parliament in the second half of 2021. The intention of this extension is to give businesses more time to consider how the R&D tax incentive eligibility criteria applies to their activities and to make an application.