Section 109M of Income Tax Assessment Act 1936 (ITAA 1936), states that a private company is not taken to pay a dividend because of loan, when it is made under the following circumstances:
1. In the ordinary course of the private company's business; and
2. On the usual terms on which the private company makes similar loans to parties at arm's length.
Section 109N of ITAA 1936, explains the criteria for such a loan:
1. The loan agreement is in writing;
2. The rate of interest payable on the loan equals or exceeds the benchmark rate for that year; and
3. The term of the loan does not exceed a certain term.