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This site contains the Commissioner’s interpretation of tax law, our Work Programme for the year, and where you can provide feedback on any new work underway or apply for a binding tax interpretation. Publications on this Tax Technical website are correct at the date of issue. Read more
This site contains the Commissioner’s interpretation of tax law. Read more

OS 25/01 Cash collateral is “money lent”

18 Mar 2025 Operational statements / 2025
This operational statement outlines a change of view by the Commissioner and sets out the approach that the Commissioner will be taking after changing his view on whether cash collateral provided as part of security lending and derivative transactions is “money lent”. The Commissioner’s view now is that interest arising on cash collateral may therefore be subject to obligations to withhold resident withholding tax (RWT) or non-resident withholding tax (NRWT).

DET 25/01 GST on supplies through electronic marketplaces – hostel and motel opt-out agreement criteria

14 Mar 2025 Determinations / Miscellaneous / 2025
This determination sets criteria for when a person who supplies accommodation through an electronic marketplace (an underlying supplier) can enter into an opt-out agreement with the operator of an electronic marketplace. The determination is made under section 60C(2BC) of the Goods and Services Tax Act 1985. 

The determination applies for taxable periods starting on or after 1 April 2025 and ending on or before 31 March 2028.
 

TDS 25/06 Receipt of funding

12 Mar 2025 Technical decision summary / 2025
Income tax: income, capital/revenue, capital contribution property

TDS 25/05 GST - input tax, taxable activity, taxable supplies, registration

10 Mar 2025 Technical decision summary / 2025
GST input tax deductions, taxable activity, taxable supplies, GST registration

IS 25/04 What an employee share scheme is, the taxing date and apportionment

10 Mar 2025 Interpretation statements / 2025

This interpretation statement considers what an employee share scheme is, including the exclusions to the definition. The statement then explains when the share scheme taxing date arises and when shares are held by or for the benefit of an employee. It also covers the circumstances when the share scheme taxing date may be deferred. Finally, it addresses how benefits are apportioned when some of the employee’s entitlement arises when they are non-resident.

TDS 25/04 Deductions and shortfall penalties

07 Mar 2025 Technical decision summary / 2025
Income tax and GST input tax deductions: Whether expenditure incurred by the Taxpayer on educational courses, motor vehicle costs, home office costs, power, insurance, rent, advertising, website, eftpos, and stock was deductible.

TDS 25/03 GST – Output tax deductions, shortfall penalties

28 Feb 2025 Technical decision summary / 2025
Output tax deductions for indemnity payment under a deed, shortfall penalties

Volume 37 No 2 TIB - March 2025

28 Feb 2025 TIB / Volume 37 - 2025

New legislation

  • SL 2024/254: Taxation (Use of Money Interest Rates) Amendment Regulations 2024

Determinations

  • FDR 2025/01: Determination under section 91AAO of the Tax Administration Act 1994 that investors in JPM Aggregate Bond-NZD Hedged Dividend Class X Shares may not use the fair dividend rate method to calculate FIF income 
  • FDR 2025/02: Determination the fair dividend rate method may not be used to calculate FIF income by investors in the iShares Core Global Aggregate Bond UCITS ETF–NZD hedged (Accumulating) share class

Interpretation statement

  • IS 25/03: Income tax – identifying the relevant item of property for depreciation purposes

Case summary

  • CSUM 25/04: Commissioner of Inland Revenue v Kaur

Technical decision summary

  • TDS 25/01: Sale of leasehold interests in residential and commercial units

NSC 2025 National standard costs for specified livestock determination 2025

24 Feb 2025 Determinations / Livestock / Standard costs

2025 determination lists the national standard costs for specified livestock.

TDS 25/02 Financing arrangement to fund the refurbishment of a capital asset

13 Feb 2025 Technical decision summary / 2025
The proposed financing arrangement is to fund the refurbishment of a capital asset. The Applicants were two companies that were unable to source finance from traditional bank lending or by way of supplier financing.

Consultations closing soon 

PUB00459: Income tax: Can I claim a deduction for expenses I incur on repairing a recently acquired capital asset?

Closes on 28 March 2025

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