S 207-160 substituted for s 207-160, 207-165 and 207-170 by No 83 of 2004, s 3 and Sch 10 item 15, applicable to events that occur on or after 1 July 2002, subject to the rules on the application of Part 3-6 of the
Income Tax Assessment Act 1997
set out in the
Income Tax (Transitional Provisions) Act 1997
. S 207-165 formerly read:
Interest payments
-
distributions that flow indirectly to the trustee of a trust
207-165(1)
For the purposes of this Subdivision, a *franked distribution is treated as an
interest payment
if:
(a)
it *flows indirectly to an entity under subsection
207-35(4)
as trustee of a trust; and
(b)
the interest in the trust in respect of which the trustee is liable to be assessed:
(i)
was acquired, or was acquired for a period that was extended, at or after the commencing time; or
(ii)
was acquired as part of a *financing arrangement for the entity (including an arrangement extending to an earlier arrangement) entered into at or after the commencing time; and
(c)
having regard to the matters in subsection (2), the distribution could reasonably be regarded as equivalent to the payment of interest on a loan.
207-165(2)
A *distribution that *flows indirectly to the trustee of a trust can reasonably be regarded as equivalent to the payment of interest on a loan if:
(a)
the trustee is liable to be assessed under Division 6 of Part III of the
Income Tax Assessment Act 1936
, for the income year in which the distribution is made, on an amount that is attributable to the distribution; and
(b)
having regard to the following matters, the amount could reasonably be regarded as equivalent to the payment of interest on a loan:
(i)
the way in which the amount was calculated;
(ii)
the conditions applying to the inclusion of the amount;
(iii)
any other relevant matters.
207-165(3)
The
commencing time
, for the purposes of subsection (1), is 7.30 pm by legal time in the Australian Capital Territory on 13 May 1997.
S 207-165 inserted by No 48 of 2002.