.
Emma Rosenzweig, deputy commissioner for the ATO, has said SAR lodgment is a basic expectation for those choosing to run their own super fund and there are heavy implications for those who fail to comply.
With the date for lodgment only days away, Rosenzweig told delegates at the SMSF Association national conference that there are approximately 85,000 funds that are still yet to lodge their annual return for 2023 and around 54,000 SMSF annual returns that are still outstanding for the 2022 income year.
“While only 3 to 4 per cent of SMSFs have a contravention reported, that's only based on those who have actually lodged and we expect a significantly higher proportion of non-lodgers have contravened the regulatory rules,” Rosenzweig said.
“For example, we know that non-lodgment is a serious red flag for illegal early release. This is especially the case for newly established funds who haven't lodged their first return. There are still 4,500 funds established in the 2023 income year who've not lodged their first return, which is now well overdue.”
Rosenzweig said non-lodgment also restricts the ATO from correctly administering the rules around concessional and non-concessional contribution caps, Division 293 tax, and assessing transfer balance caps.
“These are important rules that have been put in place to ensure equity in the superannuation system, and avoidance of them by failing to lodge returns and report accurate information to the ATO is serious.”
“As the regulator of SMSFs, the ATO has a responsibility to respond accordingly. For those who miss the annual return lodgment due date and don't contact us, their fund will no longer display as complying on super fund look up. Instead, their regulation details will be removed. Removal from the register means that rollovers can't occur to that fund and employers may stop contributing.”
If an employer can't confirm the compliance status of a fund, they are also putting their own compliance with super guarantee (SG) obligations at risk and are likely to refuse to pay contributions to that SMSF.
“We do understand that there are times when people may need a bit more time to meet their obligations, and so if they're having trouble, we expect trustees or the agents to contact us as soon as possible and seek an extension in those scenarios,” Rosenzweig said.
Additionally, the deputy commissioner said another issue the ATO has observed is that SMSF trustees are ignoring release authorities issued by the regulator to release the excess contribution amounts from their fund.
“This means that super is being taxed concessionally when it shouldn't be, and there are consequences for this for trustees who fail to release the nominated amount. A non-compliance penalty with a maximum of 20 penalty units or just over $6,500 may be incurred,” Rosenzweig said.
“Sadly, it's a similar story with commutation authorities, where we're observing similar instances of non-response by SMSF trustees, where the member has exceeded the transfer balance cap and we've sent them an excess transfer balance determination.”
Trustees need to ensure they're following these legal requirements and respond within the required time frame with the required actions as set out in ATO notices.
“Not doing so might affect the SMSF entitlement to exempt current pension income and trustees might also be liable for penalties or subject to compliance action.”
Keeli Cambourne
February 25 2025
smsfadviser.com
Director
BEc (Acc), MBA, CPA, FFin
David has been in the Financial Services Industry for nearly 30 years. He was one of the founding Directors of the successful Financial Planning and Stockbroking Practice, Henderson Gregory Forrest, for a decade. Prior to that, he held senior roles in companies such as ING, KPMG Accountants and AMP. David was previously Chairman of OAMPS Superannuation Trustee Board and currently serves as an independent Board Director for several companies.
David’s extensive experience in all forms of superannuation, including Self Managed Super Funds (SMSF), Defined Benefit Funds, retirement funding through Account Based Pensions, stockbroking with a focus on Direct Share Investment, Taxation/Remuneration Planning, Centrelink, Aged Care and business management, equip him to advise expertly on all aspects of Financial Advice.
Those with a particular interest in superannuation/SMSFs, direct share investment, salary packaging or applying for the Centrelink Pension will find his knowledge and ability in formulating and implementing creative, logical and simple wealth creation strategies a valuable asset.
David maintains a strong personalised client service focus, providing tailored solutions for clients.
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David Forrest is an Authorised Representative of Integrity Financial (SA) Pty Ltd ABN 16 133 921 187 — AFSL No 334846
Business Finance Manager
B Bus (Acc), CPA
Michelle’s career has spanned across the Financial Services, Retirement Living and Aged Care industries working in the private sector, not for profit and more recently with the state government for over 20 years. Her experience extends to many facets of the financial services industry, having worked in superannuation administration, technical support and financial planning practice administration.
Commencing with AMP and subsequently working in commerce and accounting roles with companies such as Brambles, Adelaide Bank Retirement Services, ECH Inc and SA Health and Wellbeing, Michelle returns to financial services after working in practice financial management at Henderson Gregory Forrest. This wide range of experience from senior accounting and management roles has provided Michelle with a strong background in business administration.
With an astute financial acumen and keen interest in business improvement strategies, Michelle ensures the smooth running of the Integrity Financial Advisory practice providing valued management support to our personalised client service focus.
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Client Service Manager
Jasmine has worked in the financial services industry for over 12 years in all areas of client administration, working with David since 2013.
Jasmine has extensive knowledge and experience in client service including implementation of advice, portfolio reporting, assisting with the establishment of Self Managed Super Funds (SMSFs), term deposit management and a long history of helping clients with their enquiries.
Jasmine’s attention to detail, yet gentle approach, means she is able to solve the trickiest of questions for our client community.
Jasmine has gained her Certificate III in Financial Services qualification.
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Senior Client Service Manager
Merrilyn has worked in the financial services industry for over 11 years in all areas of client administration, and is a new addition to our client services team, returning from Melbourne to join the team in June 2019.
Merrilyn has extensive knowledge and experience in client service including implementation of advice, managed fund administration, assisting with the establishment of Self Managed Super Funds (SMSFs) and process improvement for the previous practices she has worked with. Merrilyn’s experience with direct shares constitutes the other part of our administrative support for direct equity investments.
Merrilyn’s warm and caring nature continues to endear her to our clients and she has already established herself as a valued member of our team.
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