*Re B.E.R.T. Pty Ltd as Trustee for the B.E.R.T. Fund No 2 – Approved worker entitlement fund at 46.5% and could not be taxed at 30% as a public unit trust [38]
The AAT has held that an approved worker entitlement fund, which met the requirements of s58PB(2) of the FBTAA, was not a unit trust for the income year ended 30 June 2011. As a consequence, it found that the fund was not entitled to be taxed as a public trading trust. The taxpayer is the trustee of…

