S 494 repealed by No 114 of 2010, s 3 and Sch 1 item 37, applicable in relation to the 2010-11 year of income for a taxpayer and later years of income. For saving provisions, see note under Part
XI
heading. S 494 formerly read:
SECTION 494 EXEMPTION OF ATTRIBUTABLE TAXPAYER REFERRED TO IN SECTION 456
494(1)
If:
(a)
an amount of foreign investment fund income that accrued to a taxpayer from a FIF in respect of a notional accounting period of the FIF would, apart from this subsection, be included in the taxpayer's assessable income of a year of income; and
(b)
a statutory accounting period of a CFC coincides with that notional accounting period of the FIF; and
(c)
section
456
applies to the taxpayer at the end of the statutory accounting period of the CFC; and
(d)
the CFC is the same entity as the FIF;
the operative provision does not apply to the taxpayer in relation to the FIF in respect of the notional accounting period of the FIF referred to in paragraph (a).
494(2)
If:
(a)
an amount of foreign investment fund income that accrued to a taxpayer from a FIF in respect of a notional accounting period of the FIF would, apart from this subsection, be included in the taxpayer's assessable income of a year of income; and
(b)
each of 2 or more statutory accounting periods of a CFC occurs partly within that notional accounting period of the FIF; and
(c)
section
456
applies to the taxpayer at the end of each of those statutory accounting periods of the CFC; and
(d)
the CFC is the same entity as the FIF;
the operative provision does not apply to the taxpayer in relation to the FIF in respect of the notional accounting period of the FIF referred to in paragraph (a).
S 494 inserted by No 190 of 1992.