investment loandebt consolidation 18 Sep 2008 11:00 PM
What the best investment loan should offer you Part 2 by Vicky Edema
As discussed in Part I there are many astute property and share investors in Australia who often fail to ensure that the investment loan they take offers the best available features and most tax efficient investment loan structure for them.

When considering an investment loan you should ensure that you maximise your investment loan and that the interest rate is competitive (but not necessarily the cheapest – do not sacrifice features for interest rate); you should take the investment loan on an interest only basis and apply any surplus cash you have to the repayment of your non-deductible (your negative gearing benefits are maintained); you should not mix your investment loan with your home loan debt because the Australian Tax Office requires that any additional repayments of principal to such a “mixed” account must be apportioned between the home loan and the investment loan (your negative gearing benefits on your investment loan will reduce as a result).

Another feature that all investors should include in their investment loan is a separate capitalising investment line of credit. The line of credit should be for a 10 year term minimum and be interest only. The importance of a capitalising line of credit within your investment loan structure cannot be underestimated. By having such a facility including in the investment loan you protect yourself form unforeseen vacancies and expenses in relation to the upkeep of your investment property. In a recent private ruling issued by the ATO a taxpayer was provided with a favourable outcome when he sought confirmation from the ATO that where he held an investment loan and the rental income did not cover his investment expenses (interest, costs, rates etc) then he could capitalise interest on an investment line of credit where the line of credit was used to meet the shortfall between his investment income and his investment costs (interest on the investment loan being a large portion of this. The taxpayer also had a home loan and advised the ATO in his private ruling application that he did not want to use his personal income to subsidise the shortfall (including the interest on his investment loan) that he was having to meet each month. Rather he sought to draw down on the line of credit within his investment loan facility to meet the shortfall and apply as much of his personal income to the repayment of his personal home loan debt.

Under the line of credit he was not required to make any payments to the investment line of credit so the debt increased. The interest also increased with the result that the taxpayer could deduct the simple interest on the investment loan as well as the simple and capitalised interest on the investment line of credit. This delivered additional negative gearing benefits to the taxpayer while also saving him significant dollars on his home loan debt. By applying more of his personal income to repay personal debt he reduced his home loan term by 8 years and saved himself many thousands of dollars in the process.

Make sure you include a capitalising line of credit within your investment loan structure – you have both protection (from vacancies, higher interest rates,unexpected costs) as well as the opportunity to increase your negative gearing benefits and reduce your home loan interest! Make your investment loan work for you and improve your investment return.

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TODAY: Tuesday, 6th January, 2009
WEALTH MAXIMISER - INVESTOR ASSIST UPDATE - JUNE 2008
The ATO has recently published an edited version of a Private Ruling on its website: http://www.ato.gov.au/rba/content.asp?doc=/rba/content/81797.htm A taxpayer and client of Austral Mortgage, applied for the private ruling to seek confirmation from the ATO that if there was a shortfall between his investment income and his investment outgoings then that shortfall could be capitalised under the home and investment loan & line of credit structure noted in his application.  

WEALTH MAXIMISER UPDATE - MAY 2008
Ever since the High Court decision in Hart's case, taxpayers have been seeking clarity from the ATO on the deductibility of capitalised interest in certain loan structures. On 16th April 2008 a favourable Private Ruling issued to an Austral client that provides insight into the ATO's current thinking on the subject.  

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Austral Mortgage has been a Principal Sponsor of the Winston Hills Little Athletics Club since October 2006. We are proud to be supporting this community project and congratulate the young athletes of WHLA for their commitment to and successes in the sport.

WEALTH MAXIMISER UPDATE - FEBRUARY 2008
Wealth Maximiser Update 12th February 2008 - We have advice from the ATO that it is well advanced on a binding Tax Determination regarding the deductibility of capitalised interest on a line of credit facility. Borrowers with both a home loan and an investment loan should consider including a capitalising line of credit within their loan structure or at least ascertaining from their lender that they could access such a facility by way of a simple variation of their existing mortgage.

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