12/05/2026
Budget 2026
Based on the proposed measures announced in the 2026–27 Budget, a bucket company receiving a distribution from a discretionary trust would most likely still pay the normal corporate tax rate of 30% on passive investment income.
However, the critical issue is whether the new proposed “30% minimum tax” on discretionary trusts would apply before the distribution reaches the company.
At this stage, the budget draft details suggest:
* the trustee may pay a minimum 30% tax on distributions
* non-corporate beneficiaries receive a tax credit
* corporate beneficiaries may be treated differently, but Treasury has not yet released legislation clarifying this point fully
Most Likely Outcome Based on Current Information
Scenario 1 — Current Traditional Bucket Company Structure
Today:
* Trust distributes $100 to bucket company
* Bucket company pays 30% company tax
* Effective immediate tax = 30%
Additional tax only arises later if profits are paid out as dividends to individuals.
Under the Proposed Measures
The Government appears to be targeting situations where discretionary trust income is ultimately taxed below 30%.
Therefore, if:
* the trustee already pays 30%, and
* the corporate beneficiary also pays 30%
then applying both would create double taxation approaching 51%+ effective tax, which would be commercially unworkable and likely inconsistent with policy intent.
Example if no credit relief existed:
* Trust pays 30%
* Company receives remaining 70%
* Company taxed again at 30%
* Effective combined tax ≈ 51%
That outcome is widely considered unlikely because:
* company beneficiaries are already taxed at 30%
* bucket companies were already effectively operating at the proposed minimum rate
The More Probable Interpretation
The more likely design is:
* distributions to bucket companies will either:
* be exempt from the new minimum trust tax, or
* receive a credit/offset mechanism to avoid double taxation
If that occurs the effective tax rate remains approximately 30% inside the bucket company structure
Important Strategic Implication
If Treasury confirms bucket companies can still cap tax at 30%, then:
* bucket companies may become even more valuable
* distributing to adult children on low tax rates becomes less attractive
* discretionary trusts may evolve into quasi-company tax structures
But if anti-avoidance rules target corporate beneficiaries specifically:
* many existing trust structures may need restructuring before 1 July 2028.
At this stage, the legislation simply is not detailed enough to conclude definitively. The Budget announcement provides policy direction, but not the technical mechanics yet.
Family trusts will be whacked with a minimum 30 per cent tax from 2028 as the Albanese government takes a sledgehammer to vehicles used by the wealthy, in the name of creating a fairer system.