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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

QB 26/03 Income tax – portfolio investment entity income from land development activities

26 May 2026 Questions we've been asked / 2026

This question we’ve been asked considers whether income derived from developing land, dividing it into lots and/or erecting buildings on the land for the purpose of sale is eligible income for a portfolio investment entity under s HM 12 of the Income Tax Act 2007. It concludes that this income is eligible income under s HM 12.

CS 26/02 GST treatment of low value pre-registration acquired goods and services

22 May 2026 Commissioner's statements / 2026

This Commissioner’s statement sets out the Commissioner’s position and operational approach on the treatment of goods and services valued at $10,000 or less (excluding GST) that were acquired before GST registration and are used to make taxable supplies, on or following GST registration.

IS 26/11 GST - Court-awarded costs and disbursements

22 May 2026 Interpretation statements / 2026

This interpretation statement considers whether court-awarded costs and disbursements and out-of-court settlement payments for costs and disbursements are subject to GST.

This statement does not consider the GST treatment of court awards and out-of-court settlement payments more generally (eg, payments of damages). For more information on awards and payments made other than for costs and disbursements, see IS 23/07: GST – Court awards and out-of-court settlements.

 

TDS 26/05 Off-market share cancellation

22 May 2026 Technical decision summary / 2026

This item summarises a private ruling that considered an off-market share cancellation.

BR Prd 26/08 Kiwibank Limited

20 May 2026 Rulings / Product / 2026

The arrangement is a product Kiwibank offers to its customers. The product is marketed as the Kiwibank Offset Mortgage (the Product). The Product allows a customer to elect that interest payable by the customer on a loan made by Kiwibank should be calculated by offsetting the balance of the loan against the aggregate credit balances of certain eligible nominated bank accounts (hereafter referred to as credit accounts) held by either that customer or certain other eligible persons. Interest is payable on the net notional balance of these combined accounts.

This ruling does not consider the tax consequences of any arrangement under which a credit account holder agrees to offset his or her credit account balance against another person’s home loan account balance in return for valuable consideration.

QB 26/02 When does the fringe benefit tax exclusion for benefits relating to health or safety apply?

19 May 2026 Questions we've been asked / 2026

This question we’ve been asked (QWBA) explains how the FBT exclusion for benefits relating to health or safety applies.  This QWBA is relevant to employers who provide their employees with benefits as part of their duty to manage risks to health or safety in the workplace.  For the exclusion to apply, there must be a connection between the benefit and the employer’s duty to manage risks to health and safety under the Health and Safety at Work Act 2015.  This QWBA complements the General Article on the health and safety FBT exclusion (2018) by providing more detailed guidance.

TDS 26/04 Off-market share cancellation

14 May 2026 Technical decision summary / 2026

This item summarises a private ruling about whether a share cancellation payment was in lieu of a dividend under s CD 22 or was a dividend under s CD 4, whether the share-for-share exchange limitation in s CD 43 applied, and whether s BG 1 applied to vary these outcomes.

Volume 38 No 4 Tax Information Bulletin - May 2026

30 Apr 2026 TIB / Volume 38 - 2026

The Tax Information Bulletin is a monthly publication which contains information about changes to tax-related legislation, proposed legislation, judgments, rulings and other specialist tax topics including many of the publication-types.

DET 26/04 Tax Administration (Deemed Rate of Return on Attributing Interests in Foreign Investment Funds, 2025–26 Income Year) Determination 2026

29 Apr 2026 Determinations / International tax / Deemed rate of return / 2026

This determination sets the deemed rate of return, used to calculate foreign investment fund income under the deemed rate of return calculation method, for the 2025-26 income year at 7.84%. The deemed rate of return set for the 2024-25 income year was 8.04%.

DET 26/03 Declaration that the Wellington severe weather event in April 2026 is an emergency event for the purposes of family scheme income

28 Apr 2026 Determinations / Emergency Events / 2026

Determination DET 26/03 declares the Wellington severe weather event in April 2026 is an emergency event for the purposes of family scheme income.