Income Tax Assessment Act 1997
SECTION 820-300 Thin capitalisation rule for outward investing entities (ADI)
Thin capitalisation rule
820-300(1)
This subsection disallows all or a part of each *debt deduction of an entity for an income year (to the extent that it is not attributable to an *overseas permanent establishment of the entity) if, for that year: (a) the entity is an *outward investing entity (ADI) (see subsection (2) ); and (b) the entity ' s *adjusted average equity capital (see subsection (3) ) is less than the entity ' s *minimum capital amount (see section 820-305 ).
Note 1:
This Subdivision does not apply if the total debt deductions of that entity and all its associate entities for that year are $2 million or less, see section 820-35 .
Note 2:
To work out the amount to be disallowed, see section 820-325 .
Note 3:
For the rules that apply to an entity that is an outward investing entity (ADI) for only part of an income year, see section 820-330 in conjunction with subsection (2) of this section.
Note 4:
A consolidated group or MEC group may be an outward investing entity (ADI) to which this Subdivision applies: see Subdivisions 820-FA and 820-FB .
Outward investing entity (ADI)
820-300(2)
The entity is an outward investing entity (ADI) for a period that is all or a part of an income year if, and only if, throughout that period, the entity is an *ADI to which at least one of the following paragraphs applies: (a) the entity is an *Australian controller of at least one *Australian controlled foreign entity (not necessarily the same Australian controlled foreign entity throughout that period); (b) the entity is an *Australian entity that carries on a *business at or through at least one *overseas permanent establishment (not necessarily the same permanent establishment throughout that period); (c) the entity is:
(i) an Australian entity; and
(ii) an *associate entity of another entity that is an *outward investing financial entity (non-ADI) or an *outward investing entity (ADI) for that period.
Note:
To determine whether an entity is an Australian controller of an Australian controlled foreign entity, see Subdivision 820-H .
820-300(2A)
However, the entity is not an outward investing entity (ADI) for a period that is all or a part of an income year if it is a * general class investor for that year.
820-300(2B)
Subsection (2A) does not apply for the purposes of subsection 820-46(2) (definition of general class investor ).
Adjusted average equity capital
820-300(3)
The entity ' s adjusted average equity capital for an income year is: (a) the average value, for that year, of all the *ADI equity capital of the entity (other than ADI equity capital attributable to its *overseas permanent establishments); minus (b) the average value, for that year, of all the *controlled foreign entity equity of the entity (other than controlled foreign entity equity attributable to its overseas permanent establishments).
Note:
To calculate an average value for the purposes of this Division, see Subdivision 820-G .
820-300(4)
For the purposes of paragraph (3)(a) , treat treasury shares (within the meaning of *accounting standard AASB 132) in the entity as included in the *ADI equity capital of the entity, to the extent that those shares are part of the entity's eligible tier 1 capital (within the meaning of the *prudential standards).
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