CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
A1 Disposal of a CGT asset |
When the disposal contract is entered into |
The capital proceeds from disposal |
The asset’s reduced cost base |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
B1 Use and enjoyment before title passes |
When use of the CGT asset passes |
The capital proceeds |
The asset’s reduced cost base |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
C1 Loss or destruction of a CGT asset |
When compensation is first received |
The capital proceeds |
The asset’s reduced cost base |
When the contract ending an asset is entered into |
The capital proceeds from the ending |
The asset’s reduced cost base |
|
C3 End of an option to acquire shares and so on |
When the option ends |
The capital proceeds from granting the option |
The expenditure in granting the option |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
D1 Creating contractual or other rights |
When the contract is entered into |
The capital proceeds from creating the right |
The incidental costs of creating the right |
D2 Granting an option |
When the option is granted |
The capital proceeds from the grant |
The expenditure to grant the option |
D3 Granting a right to income from mining |
When the contract is entered into |
The capital proceeds from the grant of right |
The expenditure to grant the right |
D4 Entering into a conservation covenant |
When covenant is entered into |
The capital proceeds from covenant |
The reduced cost base apportioned to the covenant |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
E1 Creating a trust over a CGT asset |
When the trust is created |
Capital proceeds from creating the trust |
The asset’s reduced cost base |
E2 Transferring a CGT asset to a trust |
When the asset is transferred |
Capital proceeds from the transfer |
The asset’s reduced cost base |
E3 Converting a trust to a unit trust |
When the trust is converted |
Market value of the asset at that time |
The asset’s reduced cost base |
E4 Capital payment for trust interest (including CCIV sub-fund trust interest) |
When the trustee makes the payment |
Non-assessable part of the payment |
No capital loss |
E5 Beneficiary becoming entitled to a trust asset |
When the beneficiary becomes absolutely entitled |
For a trustee, |
For a trustee, |
E6 Disposal to a beneficiary to end an income right |
The time of the disposal |
For a trustee, |
For a trustee, |
E7 Disposal to a beneficiary to end capital interest |
The time of the disposal |
For a trustee, |
For a trustee, |
E8 Disposal by a beneficiary of capital interest |
When the disposal contract is entered into |
Capital proceeds |
The appropriate proportion of the trust’s net assets |
E9 Creating a trust over future property |
When the entity makes an agreement |
Market value of the property (as if it existed when the agreement was made) |
The incidental costs in making the agreement |
E10 Annual cost base reduction exceeds cost base of interest in AMIT / attribution CCIV sub-fund trust |
When reduction happens |
Excess of cost base reduction over cost base |
No capital loss |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
F1 Granting a lease |
For granting a lease, when the entity enters into the lease contract |
Capital proceeds |
Expenditure on grant, renewal or extension |
F2 Granting a long-term lease |
For granting a lease, |
Capital proceeds from the grant, renewal or extension |
Reduced cost base of the leased property |
F3 Lessor pays lessee to get lease changed |
When the lease term is varied or waived |
No capital gain |
Amount of expenditure to get lessee’s agreement |
F4 Lessee receives payment for changing a lease |
When the lease term is varied or waived |
Capital proceeds |
No capital loss |
F5 Lessor receives payment for changing a lease |
When the lease term is varied or waived |
Capital proceeds subtract |
Expenditure for variation or waiver |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
G1 Capital payment for shares |
When the company pays a non-assessable amount |
Payment |
No capital loss |
G3 Liquidator or administrator declares shares or financial instruments worthless |
When declaration is made |
No capital gain |
Reduced cost base of shares |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
H1 Forfeiture of a deposit |
When the deposit is forfeited |
Deposit |
Expenditure in Connection with the prospective sale |
H2 Receipt for an event relating to a CGT asset |
When the act, transaction or event occurred |
Capital proceeds |
Incidental costs |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
I1 Individual or company stops being an Australian resident |
When the individual or company stops being an Australian resident |
For each CGT asset the person owns, its market value |
For each CGT asset the person owns, its reduced cost base |
I2 Trust stops being a resident trust |
When the trust ceases to be a resident trust for CGT purposes |
For each CGT asset the trustee owns, its market value |
For each CGT asset the trustee owns, its reduced cost base |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
J1 Company stops being a member of a wholly owned group after a rollover |
When the company stops being a member of a wholly owned group after a rollover |
Market value of the asset at the time of the event |
Reduced cost base of the asset |
J2 Change for replacement asset or improved asset after a rollover under Subdivision 152-E |
when the change happens |
The amount mentioned in subsection 104-185(5) |
No capital loss |
J4 Trust failing to cease to exist after rollover under Subdivision 124-N |
when the failure to cease to exist happens |
For a company, |
For a company, |
J5 Failure to acquire replacement asset and to incur 4th element expenditure after a rollover under Subdivision 152-E |
At the end of the replacement asset period |
The amount of the capital gain that you disregarded under Subdivision 152-E |
No capital loss |
J6 Cost of acquisition of replacement asset or amount of 4th element expenditure, or both, not sufficient to cover disregarded capital gain |
At the end of the replacement asset period |
The amount mentioned in subsection 104-198(3) |
No capital loss |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
K1 Incoming international transfer of emissions unit |
when you start to hold the unit as a registered emissions unit |
unit's market value is more than its cost base |
unit's market value is less than its cost base |
K2 Bankrupt pays an amount for debt |
When payment is made |
No capital gain |
That part of the payment that relates to the denied part of a net capital loss |
K3 Asset passing to a tax-advantaged entity |
When an individual dies |
Market value of the asset at death |
Reduced cost base of the asset |
K4 CGT asset starts being trading stock |
When the asset starts being trading stock |
Market value of asset |
Reduced cost base of the asset |
K5 Special capital loss from a collectable that has fallen in market value |
When CGT event A1, C2 or E8 happens to shares in the company, or an interest in the trust, that owns the collectable |
No capital gain |
Market value of the shares or interest (as if the collectable had not fallen in market value) |
K6 Pre-CGT shares or trust interest |
When another CGT event involving the shares or interest happens |
Capital proceeds from the shares or trust interest that are attributable to post-CGT assets owned by the company or trust |
No capital loss |
K7 Balancing adjustment occurs for a depreciating asset that you used for purposes other than taxable purposes |
When the balancing adjustment event occurs |
Termination value |
Cost |
K8 Direct value shifts affecting your equity or loan interests in a company or trust |
The decrease time for the interests |
Capital gain worked out under section 725-365 |
No capital loss |
K9 Entitlement to receive payment of a carried interest |
When you become entitled to receive the payment |
Capital proceeds from the entitlement |
No capital loss |
K10 You make a forex realisation gain as a result of forex realisation event 2 and item 1 of the table in subsection 775-70(1) applies |
When the forex realisation event happens |
Equal to the forex realisation gain |
No capital loss |
K11 You make a forex realisation loss as a result of forex realisation event 2, and item 1 of the table in subsection 775-75(1) applies |
When the forex realisation event happens |
No capital gain |
Equal to the forex realisation loss |
K12 Foreign hybrid loss exposure adjustment |
Just before the end of the income year |
No capital gain |
The amount stated in subsection 104-270(3) |
CGT event |
Time of event |
Capital gain |
Capital loss |
---|---|---|---|
L1 Reduction under section 705-57 in tax cost setting amount of assets of entity becoming subsidiary member of consolidated group or MEC group |
Just after entity becomes subsidiary member |
No capital gain |
Amount of reduction |
L2 Amount remaining after step 3A etc of ‘joining allocable cost amount' is negative |
Just after entity becomes subsidiary member |
Amount remaining |
No capital loss |
L3 Tax cost setting amounts for retained cost base assets exceed joining allocable cost amount |
Just after entity becomes subsidiary member |
Amount of excess |
No capital loss |
L4 No reset cost base assets against which to apply excess of net allocable cost amount on joining |
Just after entity becomes subsidiary member |
No capital gain |
Amount of excess |
L5 Amount remaining after step 4 of ‘leaving allocable cost amount' is negative |
When entity ceases to be subsidiary member |
Amount remaining |
No capital loss |
L6 Error in calculation of tax cost setting amount for joining entity’s assets |
Start of the income year when the Commissioner becomes aware of the errors |
The net overstated amount resulting from the errors, |
The net understated amount resulting from the errors, |
L8 Reduction in tax cost setting amount for reset cost base assets on joining can't be allocated |
Just after entity becomes subsidiary member |
No capital gain |
Amount of reduction that can't be allocated |
Return to: Appendixes