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Liam is a 46-year-old accountant who is the Trustee of the Clarks Discretionary Trust whose beneficiaries include himself, his partner Jill (a 44-year-old voluntary

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Liam is a 46-year-old accountant who is the Trustee of the Clarks Discretionary Trust whose beneficiaries include himself, his partner Jill (a 44-year-old voluntary social worker who did not derive any other assessable income); their son Bill (a 14-year-old high-school student who did not derive any other assessable income) and Richkid Pty Ltd (which is a private bisM NO company wholly owned by Jack). Liam Pty Ltd only derives investment income and therefore does not qualify as a base rate entity for income tax purposes for the year ended 30 June 201X. In the 201X/XX year the trust generated income of $150,000, and incurred running expenses of $85,000. All the income derived by the trust is assessable for income tax purposes and all of its expenses are deductible for the 20XX/1X year. Due to his other income, Liam is taxed at the top marginal rate and wishes to minimise his tax liability by making the other beneficiaries of the Clark Discretionary Trust presently entitled to a share of trust income (and therefore to a share of the net income of the trust). For the year ended 30 June 201X Jack as trustee distributes the trust income on the following basis: 25% to Jill 45% to Bill 15% to Clark Pty Ltd However, Jack inadvertently fails to distribute the remaining 15% of the income of the trust to any beneficiary. Required Advise Clark as Trustee of the Clark Discretionary Trust on the tax consequences of the above trust distributions for the year ending 30 June 20xX, applying legislation and case law to support your answer.

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