The director ID regime is a new initiative requiring all company directors to have a unique identification number. Its primarily purpose is to deter and detect phoenix activity by ensuring directors can be traced across companies and preventing the creation of fictitious identities.
Any individual is who is a director of an Australian company will, in time, be required to apply for a director identification number, called a director ID.
In an SMSF context, this includes:
The law does not currently cover company secretaries but may be expanded to do so in the future.
Whilst the law to give effect to the regime was passed in June last year, it is not currently operational. This is because a new information technology platform and systems had to be developed before the changes could be implemented. Live testing of the new technology systems will begin shortly and is expected to be completed by 31 October 2021.
Eventually, a prospective director will be required to apply for their director ID before their first appointment as a director. However there are transitional rules for existing directors depending on when they were appointed as shown in the table below.
Individual was appointed as a director: | Must apply for a director ID by: |
---|---|
Before the end of the testing period (expected to be 31 October 2021) |
30 November 2022 |
Within 12 months of the end of the testing period |
28 days after their appointment |
After the end of the 12 month transitional period |
Before their appointment as a director |
The preferred means of applying for a director ID will be electronically however we understand there will be a paper based system for those unable to apply electronically.
The first step in the application process will be verifying the individual’s identity. This is because, whilst details of a company’s directors must be lodged with ASIC under the current system, ASIC is not required to verify the identity of those directors.
It is expected that individuals who don’t currently have a “digital identity” (eg they don’t have a myGovID) will need to do so before they can apply for a director ID.
Further details will become available over the coming months, but existing directors should be aware that they will be expected to complete the director ID application form themselves. Agents or other third parties won’t be able to apply for a director ID on behalf of clients as the process is all about proving identity.
Eligible applicants will be limited to:
No – in fact the whole idea is that a director ID will identify when a particular person is a director of multiple companies. Think of the director ID as being similar to a Tax File Number – even people who have multiple jobs give each employer the same personal TFN.
As the new rules are not currently operational, there is not a lot that can be done now. However, we suggest you:
But don’t let this new regime encourage your clients to setup individual trustees. There are a number of great reasons why a company is still the right way to go.
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