Crypto-to-Crypto Transactions: A Modern Quandary in Realisation Taxation

The emergence of crypto assets as a disruptive technology has created significant challenges to tax systems around the world. While both tax policymakers and academics continue to analyse the income tax consequences of new and exotic transactions, jurisdictions diverge even on the consequences of a...

Full description

Bibliographic Details
Main Authors: Allen, Christina, Parsons, Shaun
Format: Journal Article
Published: Sweet and Maxwell 2025
Online Access:http://hdl.handle.net/20.500.11937/96581
_version_ 1848766172807299072
author Allen, Christina
Parsons, Shaun
author_facet Allen, Christina
Parsons, Shaun
author_sort Allen, Christina
building Curtin Institutional Repository
collection Online Access
description The emergence of crypto assets as a disruptive technology has created significant challenges to tax systems around the world. While both tax policymakers and academics continue to analyse the income tax consequences of new and exotic transactions, jurisdictions diverge even on the consequences of a seemingly simple transaction: the exchange of one crypto asset for another. This article considers whether there is a basis for a universal position that the exchange of crypto assets represents a realisation event. The article begins with a theoretical analysis of the accretion and realisation models of taxation. It finds that realisation is a notion used to depict a taxing point that may differ from that in accretion-based taxation, rather than a concept with its own principled definition. The article then presents the approaches of several jurisdictions with the common position that the exchange of crypto assets is a realisation event, followed by examples of jurisdictions that take a different position in specific instances, and the rationale underlying those positions. Having established that there is no universal basis for establishing the occurrence of a realisation event, and that jurisdictions may justifiably and indeed do differ in their positions, the article considers both theoretical and practical arguments for and against the recognition of a realisation event arising from the exchange of crypto assets. The article concludes by proposing what may be a theoretically defensible and pragmatic way forward to guide the taxation of crypto asset exchanges.
first_indexed 2025-11-14T11:46:55Z
format Journal Article
id curtin-20.500.11937-96581
institution Curtin University Malaysia
institution_category Local University
last_indexed 2025-11-14T11:46:55Z
publishDate 2025
publisher Sweet and Maxwell
recordtype eprints
repository_type Digital Repository
spelling curtin-20.500.11937-965812025-04-17T03:54:32Z Crypto-to-Crypto Transactions: A Modern Quandary in Realisation Taxation Allen, Christina Parsons, Shaun The emergence of crypto assets as a disruptive technology has created significant challenges to tax systems around the world. While both tax policymakers and academics continue to analyse the income tax consequences of new and exotic transactions, jurisdictions diverge even on the consequences of a seemingly simple transaction: the exchange of one crypto asset for another. This article considers whether there is a basis for a universal position that the exchange of crypto assets represents a realisation event. The article begins with a theoretical analysis of the accretion and realisation models of taxation. It finds that realisation is a notion used to depict a taxing point that may differ from that in accretion-based taxation, rather than a concept with its own principled definition. The article then presents the approaches of several jurisdictions with the common position that the exchange of crypto assets is a realisation event, followed by examples of jurisdictions that take a different position in specific instances, and the rationale underlying those positions. Having established that there is no universal basis for establishing the occurrence of a realisation event, and that jurisdictions may justifiably and indeed do differ in their positions, the article considers both theoretical and practical arguments for and against the recognition of a realisation event arising from the exchange of crypto assets. The article concludes by proposing what may be a theoretically defensible and pragmatic way forward to guide the taxation of crypto asset exchanges. 2025 Journal Article http://hdl.handle.net/20.500.11937/96581 Sweet and Maxwell restricted
spellingShingle Allen, Christina
Parsons, Shaun
Crypto-to-Crypto Transactions: A Modern Quandary in Realisation Taxation
title Crypto-to-Crypto Transactions: A Modern Quandary in Realisation Taxation
title_full Crypto-to-Crypto Transactions: A Modern Quandary in Realisation Taxation
title_fullStr Crypto-to-Crypto Transactions: A Modern Quandary in Realisation Taxation
title_full_unstemmed Crypto-to-Crypto Transactions: A Modern Quandary in Realisation Taxation
title_short Crypto-to-Crypto Transactions: A Modern Quandary in Realisation Taxation
title_sort crypto-to-crypto transactions: a modern quandary in realisation taxation
url http://hdl.handle.net/20.500.11937/96581