Taxation of Dealers, Developers & Builders 2021

Description

This highly practical webinar examines tax issues relating to dealers, developers and builders, including what constitutes a business of dealing in land, developing or dividing land into lots and erecting buildings, when does a land-related business start and end, when will land be “tainted by association” with a dealer, developer or builder, how to limit “tainting by association”, and when will the residential exclusion and business premises exclusion apply. Case studies will be used to illustrate the application of these issues, including what mistakes to avoid when advising on structures for dealers, developers and builders.

LEARNING OUTCOMES

You will:

  • Know what constitutes a business of dealing in land, developing or dividing land into lots, and erecting buildings.
  • Understand when a business carried on by a “dealer”, “developer” and “builder” starts and when it ends.
  • Know when land will be “tainted by association” with a “dealer”, “developer” or “builder”.
  • Learn what types of structures can be used to limit “tainting by association” with a “dealer”, “developer” and “builder”.
  • Understand when the residential exclusion and business premises exclusion will apply to “dealers”, “developers” and “builders”, and associated persons.
  • Know what mistakes to avoid when advising on structures for “dealers”, “developers” and “builders”.

SUITED TO

Accountants of all levels, tax lawyers, property lawyers and others who advise dealers, developers and builders.

PRESENTER

Stephen Tomlinson, Principal, Tomlinson Law

1.5 CPD Hours

  • Oct 21
    Thu, 2:30 PM NZDT - 4:00 PM NZDT Online
    • $215.00 excl. GST

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One-connection-one-fee

Our webinars operate on a 'one-connection-one-fee' basis so you can have your whole team participate for one cost effective price and claim CPD points.

Recordings

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Sole practitioners

A discount on webinars is available for sole practitioners. Please contact us at NZ‑learning@wolterskluwer.com to confirm eligibility.