ato logo
Search Suggestion:

Page 3 of the schedule

Last updated 20 August 2015

Part E Controlled foreign company (CFC) losses

Controlled foreign companies no longer quarantine revenue losses into separate classes of notional assessable income. However, CFC losses continue to be quarantined in the CFC that incurred them.

The amounts at M, N and O are the totals of the entity's share of losses incurred by CFCs. The entity's share of a loss of a CFC is calculated by applying its attribution percentage in the CFC to the loss of the CFC.

Current year CFC losses

Write at M the total amount of the entity's share of CFC losses, if any, for the statutory accounting period that ends within the 2014–15 income year.

CFC losses deducted

Write at N the total of the entity's share of CFC losses, if any, that have been claimed as notional allowable deductions in calculating the CFC's attributable income for the statutory accounting period that ends within the 2014–15 income year.

CFC losses carried forward

Write at O the total amount of the entity's share of undeducted CFC losses, if any, that are available to be carried forward to statutory accounting periods that end in later income years.

QC44332