INCOME TAX ASSESSMENT ACT 1936 (ARCHIVE)
Where:
(a) the trustee of a trust estate has a discretion to pay or apply income of the trust estate to or for the benefit of specified beneficiaries; and
(b) the trust estate is completely wound up before 30 June 1991; and
(c) the trustee exercises the trustee's discretion in favour of a beneficiary:
(i) in the course of that winding-up; and
(ii) during a year of income mentioned in subparagraph 102AAN(1)(a)(i) , (ii) or (iii); and
(iii) after the IP time; and
(d) under section 101 , the beneficiary is taken to be presently entitled to the amount (in this subsection called the distributed amount ) paid to the beneficiary or applied to the beneficiary's benefit by the trustee in the exercise of that discretion; and
(e) the conditions set out in subparagraph 102AAN(1)(a)(iv) and paragraphs 102AAN(1)(b), (c) and (e) are satisfied in relation to the trust estate;
the following provisions have effect:
(f) neither section 97 nor 98 is taken to have applied in relation to the beneficiary's present entitlement to the distributed amount;
(g) the distributed amount is taken to have been included in the assessable income of the beneficiary of the taxpayer's year of income under section 99B .
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