TaxBanter March 2026 Special Topic: Property Development and Income Tax
This session is designed to provide readers with guidance on the significance of the taxpayer’s intention in relation to the development for certain provisions of the Tax law and how it differs from purpose and motive
‘Property development’ covers a wide range of activities from the small one-off project to the large scale multi-stage, multi-million dollar project that takes many years to completion.
The income tax consequences of incurring costs on, and deriving revenue or profit from, the development will depend on the nature and scope of the developer’s activity – i.e. a one-off realisation of an asset or the carrying on of a business.
This session is designed to provide readers with guidance on:
- The significance of the taxpayer’s intention in relation to the development for certain provisions of the Tax law and how it differs from purpose and motive
- Explain the meaning of profit-making undertaking by reference to the Commissioner’s ruling TR 92/3
- The circumstances in which property is held as trading stock, a CGT asset or as a revenue asset
- The circumstances in which a taxpayer is likely to be carrying on a business of property development
- The CGT implications of starting to hold as trading stock land which is already owned
- How development costs in an isolated transaction should be dealt with for tax purposes
- The sort of costs for which a deduction may be available under the provision of last resort, s. 40-880
- Explain the circumstances in which holding costs of vacant land will be denied.
Investment
Individual - $195 ex GST incl
Team - $585 ex GST (up to 6 team members)
If you do not already have an account, please create one here to:
- Register a team
- Access the 25% discount for the full year series!
Date & Details
Wednesday, 4 March 2026
Time
11:00am - 12:30pm AEDT (NSW, VIC, ACT, TAS)
10:30am SA
10:00am QLD
9:30am NT
8:00am WA
What we cover
- Explain the meaning of profit-making undertaking by reference to the Commissioner’s ruling TR 92/3
- Understand the circumstances in which property is held as trading stock, a CGT asset or as a revenue asset
- Understand the circumstances in which a taxpayer is likely to be carrying on a business of property development
- Calculate the CGT implications of starting to hold as trading stock land which is already owned
- Explain how development costs in an isolated transaction should be dealt with for tax purposes
TaxBanter Senior Trainer
TaxBanter are Australia's leading experts in personalised tax training.
This webinar will be presented by one of TaxBanter’s experienced tax trainers.
Webinar
TaxBanter March 2026 Special Topic: Property Development and Income Tax
04 March 2026 - 04 March 2026
Webinar
$195.00 + GST