Consolidation Reference Manual
You can still refer to the Consolidation reference manual for consolidation information that has not been impacted by changes in the legislation.
C2 Assets
C2-4 Worked examples - cost setting on entry
Entry Step E (adjust for certain revenue-like assets)
C2-4-710 Limiting the tax cost setting amounts of revenue-like assets (step E)
Description
This example shows how the tax cost setting amount for a revenue-like asset is reduced at step E of the entry cost setting process where there has been an earlier resetting of the cost bases and reduced cost bases of pre-CGT membership interests in a joining entity because of a change in the underlying ownership of those interests. (Note that trading stock, depreciating assets and revenue assets are referred to in the consolidation legislation as 'assets held on revenue account' and 'revenue etc. assets'. In the reference manual, they are generally referred to as 'revenue-like' assets.)
Commentary
The tax cost setting amounts for revenue-like assets (i.e. trading stock, depreciating assets, and revenue assets) are limited to the greater of their terminating values or market values under section 705-40 of the ITAA 1997. The tax cost setting amounts for depreciating assets may also be reduced for over-depreciation under section 705-50. A further reduction may also apply to revenue-like assets if:
The tax cost setting amounts for revenue-like assets (i.e. trading stock, depreciating assets, and revenue assets) are limited to the greater of their terminating values or market values under section 705-40 of the Income Tax Assessment Act 1997 (ITAA 1997). The tax cost setting amounts for depreciating assets may also be reduced for over-depreciation under section 705-50. Note that, effective from 1 July 2009, the over-depreciation adjustment in section 705-50 of the ITAA 1997 has been repealed, so it will no longer apply to over-depreciated assets of entities that become subsidiary members of a consolidated group on or after that date → Tax Laws Amendment (2010 Measures No. 1) Act 2010 (No. 56 of 2010).
- •
- the tax cost setting amount worked out for the asset exceeds its terminating value, and
- •
- before consolidation, Division 149 of the ITAA 1997 or its predecessor reset the cost bases of pre-CGT membership interests in the joining entity at a higher value (because there was a change in majority ownership of the entity).
The entry ACA will need to be recalculated and reallocated. The first calculation and allocation of the ACA sets the tax cost setting amounts for all assets other than revenue-like assets. The second calculation and allocation of the ACA sets the tax cost setting amounts for revenue-like assets.
Those revenue-like assets will be given reduced tax cost setting amounts that remove the effect of the change in majority ownership on the cost bases of membership interests. The reduction amount gives rise to a capital loss for the head company and can be offset against capital gains over a minimum period of 5 income years. → section 104-500, ITAA 1997
Example
Facts
Adam and Beth incorporate HCo on 1 July 1985 with $100,000, each holding 50% of the shares. HCo then incorporates XCo with $100,000 (1,000 ordinary shares).
On 1 July 1985, XCo acquires Asset 1 for investment purposes. XCo's financial position at that time is as follows:
Asset 1 (MV $30,000) | $30,000 | Equity | $100,000 |
Cash | $70,000 | ||
$100,000 | $100,000 | ||
MV = market value |
XCo made profits every year to 30 June 2001. All profits were taxed but not distributed. Taxed profits total $200,000. Asset 1 was a pre-CGT asset. Assets 2 to 5 were acquired after 20 September 1985. Asset 2 was acquired for long-term investment. Assets 3 to 5 are held on revenue account.
On 30 June 2001 Adam and Beth decide to retire and sell their shares in HCo to an unrelated couple Ted and Alice for $370,000. XCo's financial position was as follows:
Asset 1 (MV $70,000) | $30,000 | Equity | $100,000 |
Asset 2 (MV $60,000) | $30,000 | After tax profits | $200,000 |
Asset 3 (MV $40,000) | $50,000 | ||
Asset 4 (MV $70,000) | $60,000 | ||
Asset 5 (MV $70,000) | $70,000 | ||
Cash | $60,000 | ||
$300,000 | $300,000 | ||
MV = market value |
As the majority underlying interests in XCo (and its assets) are not the same as they were before 20 September 1985, Division 149 applies at this time. The shares in XCo and Asset 1 cease to be pre-CGT assets. The first element in their cost base and reduced cost base is reset to their respective market values at that time. The market value of the shares was $370.00 each.
HCo elects to form a consolidated group on 1 July 2002. XCo's financial position at that time is as follows:
Asset 1 (MV $70,000) | $30,000 | Equity | $100,000 |
Asset 2 (MV $60,000) | $30,000 | After tax profits | $220,000 |
Asset 4 (MV $70,000) | $60,000 | ||
Asset 5 (MV $80,000) | $70,000 | ||
Asset 6 (MV $80,000) | $80,000 | ||
Cash | $50,000 | ||
$320,000 | $320,000 | ||
MV market value |
ACA 1 | ACA 2 | |
---|---|---|
ACA calculation | ||
Step 1
For ACA 1 compare cost base (CB) $370 with reduced cost base (RCB) $370 and market value (MV) $410. As MV exceeds CB, use CB ($370 x 1,000 shares) For ACA 2 reduce CB and RCB by the loss of pre-CGT adjustment amount (both $270) before comparison. As MV exceeds the adjusted CB, use the adjusted CB of $100 ($100 x 1,000 shares)(see explanation below) |
370,000 | 100,000 |
Step 2
Does not apply as there are no liabilities |
||
Step 3
Add undistributed profits accrued to group only from the Division 149 change time • |
20,000 | 20,000 |
Steps 3A - 4
Do not apply |
||
Steps 5 - 7
Do not apply as there are no losses or inherited deductions |
||
Entry ACA is | 390,000 | 120,000 |
Subtract: Tax cost setting amount of retained cost base assets (i.e. cash) | 50,000 | 50,000 |
Remainder of ACA (to be allocated to reset cost base assets) | 340,000 | 70,000 |
• Section 705-105 of the ITAA 1997 modifies what is meant in subsection 705-90(7) by membership interests that the head company holds continuously. Where Division 149 has applied to the membership interests, those membership interests are taken not to have been held before the application of Division 149.
Asset | Cost | Terminating value | Market value | Apportionment of remainder | Tax cost setting amount |
---|---|---|---|---|---|
Asset 1 | 30,000 | 70,000 | 70,000 | 70,000/360,000 x 340,000 | 66,111 |
Asset 2 | 30,000 | 30,000 | 60,000 | 60,000/360,000 x 340,000 | 56,666 |
Asset 4 | 60,000 | 60,000 | 70,000 | 70,000/360,000 x 340,000 | 66,111 |
Asset 5 | 70,000 | 70,000 | 80,000 | 80,000/360,000 x 340,000 | 75,556 |
Asset 6 | 80,000 | 80,000 | 80,000 | 80,000/360,000 x 340,000 | 75,556 |
Totals | 360,000 | 340,000 |
Assets 4, 5 and 6 are revenue assets under section 977-50. There is no reduction to their tax cost setting amounts under section 705-40 of the ITAA 1997 as the tax cost setting amount worked out above does not in any case exceed the greater of the asset's terminating value or market value. However, these revenue assets are also 'revenue etc. assets' under paragraph 705-57(2)(c) of the ITAA 1997. As the tax cost setting amounts of Assets 4 and 5 worked out above exceed their respective terminating values, and the cost base and reduced cost base of membership interests in XCo were increased as a result of the operation of Division 149, the ACA must be recalculated.
In the second calculation (ACA 2 column in the ACA calculation above), the cost base and reduced cost base used in step 1 must be reduced by their respective loss of pre-CGT status adjustment amounts. For the cost base, the cost base of membership interests immediately before the Division 149 change time is compared with the cost base of those interests immediately after the change. The difference is the adjustment amount. The cost base before the change was $100 per share, and $370 after the change. The adjustment amount is $270. The same exercise is used to work out the adjustment for the reduced cost base ($370 less $100 is $270).
After subtracting for retained cost base assets (see above), the remainder of the second ACA is allocated to the reset cost base assets as follows:
Asset | Cost | Terminating value | Market value | Apportionment of remainder | Tax cost setting amount |
---|---|---|---|---|---|
Asset 1 | 30,000 | 70,000 | 70,000 | 70,000/360,000 x 70,000 | 13,611 |
Asset 2 | 30,000 | 30,000 | 60,000 | 60,000/360,000 x 70,000 | 11,666 |
Asset 4 | 60,000 | 60,000 | 70,000 | 70,000/360,000 x 70,000 | 13,611 |
Asset 5 | 70,000 | 70,000 | 80,000 | 80,000/360,000 x 70,000 | 15,556 |
Asset 6 | 80,000 | 80,000 | 80,000 | 80,000/360,000 x 70,000 | 15,556 |
Totals | 360,000 | 70,000 |
For assets that are not 'revenue etc.' assets under paragraph 705-57(2)(c), the tax cost setting amount worked out using ACA 1 is used. For 'revenue etc.' assets the tax cost setting amount worked out using ACA 2 is used, but not so as to reduce the tax cost setting amount for those assets below their terminating values.
Asset | Cost | Terminating value | TCSA from ACA 1 | TCSA from ACA 2 | TCSA after s. 705-57 | CGT event L1 amount |
---|---|---|---|---|---|---|
Asset 1 | 30,000 | 70,000 | 66,111 | 13,611 | 66,111 | |
Asset 2 | 30,000 | 30,000 | 56,666 | 11,666 | 56,666 | |
Asset 4 | 60,000 | 60,000 | 66,111 | 13,611 | 60,000 | 6,111 |
Asset 5 | 70,000 | 70,000 | 75,556 | 15,556 | 70,000 | 5,556 |
Asset 6 | 80,000 | 80,000 | 75,556 | 15,556 | 75,556 | 0 |
Totals | 340,000 | 70,000 | 328,333 | 11,667 |
The tax cost setting amounts to be used are the Figures in the second last column. The sum of these and the CGT event L1 amounts (the last column) is $340,000. This is equal to the remainder of the ACA 1 step 1 amount after subtracting for retained cost base assets.
The reduction of $11,667 is converted into a capital loss (CGT event L1) available to be deducted over a minimum period of 5 income years starting with the income year in which formation occurs. → section 104-500, ITAA 1997
References
Income Tax Assessment Act 1997 , sections 705-40 and 705-50 ; as amended by:
- •
- New Business Tax System (Consolidation) Act (No. 1) 2002 (No. 68 of 2002), Schedule 1
- •
- New Business Tax System (Consolidation, Value Shifting, Demergers and Other Measures) Act 2002 (No. 90 of 2002), Schedule 2
Income Tax Assessment Act 1997 , paragraph 705-57(2)(c) ; as amended by New Business Tax System (Consolidation and Other Measures) Act (No. 1) 2002 (No. 117 of 2002), Schedule 3
Income Tax Assessment Act 1997 , section 104-500 ; as amended by New Business Tax System (Consolidation and Other Measures) Act (No. 1) 2002 (No. 117 of 2002), Schedule 3
Income Tax Assessment Act 1997 , Division 149
Income Tax Assessment Act 1997 , section 977-50
Income Tax Assessment Act 1997 , section 705-50 and subsection 995-1(1) ; as amended by Tax Laws Amendment (2010 Measures No. 1) Act 2010 (No. 56 of 2010), Schedule 5, Part 6
Explanatory Memorandum to Tax Laws Amendment (2010 Measures No. 1) Bill 2010, Chapter 5
History
Revision history
Section C2-4-710 first published 2 December 2002.
Further revisions are described below.
Date | Amendment | Reason |
---|---|---|
6.5.11 | Minor changes to reflect the repeal of section 705-50, effective 1 July 2009.
Note added to table 4 to clarify step 3 amount. |
Legislative amendment.
For clarification. |
Current at 6 May 2011