{"id":3202,"date":"2026-06-01T21:53:42","date_gmt":"2026-06-01T11:53:42","guid":{"rendered":"https:\/\/chipkie.com\/au\/?p=3202"},"modified":"2026-06-01T21:53:45","modified_gmt":"2026-06-01T11:53:45","slug":"division-7a-loan-minimum-interest-rate-2026-australia","status":"publish","type":"post","link":"https:\/\/chipkie.com\/au\/blog\/2026\/06\/01\/division-7a-loan-minimum-interest-rate-2026-australia\/","title":{"rendered":"Division 7A Loan Minimum Interest Rate 2026 Explained"},"content":{"rendered":"
If your private company has lent money to you \u2014 or a family trust or associate has benefited from company funds \u2014 the Division 7A loan minimum interest rate 2026<\/strong> is a number you cannot afford to get wrong. Each income year, the ATO publishes a benchmark rate that determines whether your loan arrangement is compliant or whether the outstanding amount gets treated as an unfranked deemed dividend, hitting you with a full marginal tax bill. For the 2025\u201326 income year, that benchmark rate has shifted, and the consequences of ignoring it are severe.<\/p>\n Whether you’re a small business owner drawing funds from your company, a family helping a child buy property through a corporate structure, or an accountant advising clients, this guide explains the rate itself, how it works in practice, and the traps that catch people every single year.<\/p>\n The Division 7A benchmark interest rate for the 2025\u201326 income year (1 July 2025 to 30 June 2026) is 8.27%<\/strong>. This rate is set by the ATO each year based on the RBA’s Indicator Lending Rate for housing loans, published in the relevant Taxation Determination. Any compliant Division 7A loan agreement must charge interest at or above this rate.<\/p>\n This is a meaningful increase from previous years. To put it in context:<\/p>\nWhat is the Division 7A loan minimum interest rate for 2025\u201326?<\/h2>\n