Consideration and supply: participant donations for charity marathons are not quid pro quo and should not attract GST.
Whether donations from marathon participants are consideration for a taxable supply under GST: the Authority held donations taxable because most funds were spent on event management rather than charitable activities, but the author argues the correct test is the receipt side-whether a supply and quid pro quo existed-emphasising that participant donations are symbolic and not payment for services, and noting unconsidered input tax credits paid on event services. (AI Summary)
Whether donations from marathon participants are consideration for a taxable supply under GST: the Authority held donations taxable because most funds were spent on event management rather than charitable activities, but the author argues the correct test is the receipt side-whether a supply and quid pro quo existed-emphasising that participant donations are symbolic and not payment for services, and noting unconsidered input tax credits paid on event services. (AI Summary)
TaxTMI 