INCOME TAX ASSESSMENT ACT 1997 (ARCHIVE)
SECTION 820-515 (ARCHIVE) 820-515 Partnerships, trusts, and Australian permanent establishments of foreign banks, included in a resident TC group
A *resident TC group for an income year also includes:
(a) each partnership:
(i) all interests in whose income and capital are beneficially owned at the end of the income year by one or more companies in the group; and
(ii) for which the income year ends on the same day as for the companies in the group; and
(b) each trust:
(i) all interests in whose income and capital are beneficially owned at the end of the income year by one or more entities, each of which is a company in the group or is covered by paragraph (a); and
(ii) for which the income year ends on the same day as for the companies in the group; and
(c) for each *foreign bank:
(i) that is in the *maximum TC group and chooses to include its *Australian permanent establishments in the resident TC group; and
each Australian permanent establishment through which the foreign bank carries on its banking business in Australia.
(ii) for which the income year ends on the same day as for the companies in the resident TC group;
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