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Boggle34(Newbie)Newbie
10 Apr 2026

Hi

I seek guidance on the tax treatment of the following proposed transactions:

Background: I currently have:

  • A home loan with available redraw facility ($80,000 available)
  • An existing share portfolio of $90,000 value (separate from any borrowings)

Proposed sequence:

  1. Redraw $80,000 from home loan to purchase shares for investment purposes
  2. Then sell my previous portfolio of $90,000 worth of shares from my existing (non-debt funded) portfolio at a significant capital gain.
  3. Use the sale proceeds to make an ~$90,000 principal repayment on my home loan
  4. The structure of the investment portfolio will be far simpler than the previous porftfolio although with some overlap (same index ETFs but with different weightings and no individual stocks unlike the original portfolio)

Questions:

  1. Are these transactions considered separate for tax purposes, given they involve different sources of funds (borrowed money vs. existing investments)?
  2. Would this arrangement be viewed as an artificial or contrived scheme under general anti-avoidance provisions?
  3. Does the timing between transactions affect the tax treatment?
  4. Are there any specific provisions that would prevent me from claiming tax deductions on interest for the $80,000 borrowed to purchase the new shares?
  5. Would the capital gains tax treatment of the share sale be affected by this sequence of transactions?

Purpose: The intention is legitimate debt recycling to convert non-deductible home loan interest to tax-deductible investment debt, while also taking profits on existing investments.

Thank you for your guidance.

91 views
1 replies
91 views
1 replies

All replies

YellowPotato(Taxicorn)Taxicorn
10 Apr 2026

Would be best to see a tax agent or financial advisor


Reading TR 2000/2 may help


  1. This one I think should ask a professional. I'm fairly certain 3. doesn't make the loan for 1. vanish as it's not the same stock in 1. So the money from 3. would be treated as any other repayment to a mixed purpose loan
  2. Not sure what you mean. It seems to follow TR 2000/2 correctly. Generally, the deductibility is connected to the purpose of the loan, not what is used as the security
  3. I think timing would only change how you apportion the interest
  4. Maybe, it needs to be an incoming producing asset. If not, it goes into cost base.
    1. INCOME TAX ASSESSMENT ACT 1997 - SECT 8.1
    2. https://www.ato.gov.au/individuals-and-families/investments-and-assets/capital-gains-tax/calculating-your-cgt/cost-base-of-asset#CostBaseElement3
  5. If talking about 3., I don't think the timing would affect the CGT calculation for 3. Though the timing of 1. and 3. may affect how much of the interest is deductible to 1. as either deduction or cost base

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Tax implications of debt recycling followed by separate share sale and mortgage repayment | ATO Community