Draft Taxation Determination
TD 1999/D17
Income tax: interest withholding tax exemption under section 128F of the Income Tax Assessment Act 1936 - how may a company satisfy the introductory requirements in paragraphs 128F(3)(a) and (b) that a debenture must be offered on a 'debenture by debenture' basis?
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Please note that the PDF version is the authorised version of this draft ruling.This document has been finalised by TD 1999/24.
FOI status:
draft only - for commentPreamble
Draft Taxation Determinations (DTDs) present the preliminary, though considered, views of the Australian Taxation Office. DTDs should not be relied on; only final Taxation Determinations represent authoritative statements by the Australian Taxation Office. |
1. The introductory words of the first and second public offer tests, in paragraphs 128F(3)(a) and (b), require the issue of a debenture to result from the debenture being offered for issue to at least 10 or 100 persons respectively.
2. Concern has been expressed that, if a debenture is offered for issue to 10 or 100 people, and each person accepts, the company would have contracted to sell the same debenture to 10 or 100 different people.
3. For the purposes of the introductory words of paragraphs 128F(3)(a) and (b), 'offered' is not limited to meaning 'offer' in the context of a contractual offer. Rather, the word includes invitations or inducements to potential investors to make offers. For example, the placement of an advertisement that the company wishes to issue debentures, is an attempt to induce offers from potential investors rather than an offer itself (in other words, it is an 'invitation to treat').
4. Therefore, the introductory words are satisfied where the debentures are advertised for issue or other invitations or inducements are made in accordance with their respective public offer test, giving potential investors the opportunity to make an offer to the company for the acquisition of the debenture/s.
5. Further, the reference to debenture in the opening words of paragraphs 128F(3)(a) and (b) includes a tranche of debentures, which includes the debentures as well as interests in a debenture in global form (as to which see Draft Taxation Determination TD 1999/D3).
Your comments
6. If you wish to comment on this draft Determination, please send your comments promptly by Friday 26 February 1999 to:
Contact officer details have been removed following publication of the final ruling. |
Commissioner of Taxation
27 January 1999
References
ATO references:
NO 97/6464-0; 99/658-1
Related Rulings/Determinations:
TD 1999/D1
TD 1999/D2
TD 1999/D3
TD 1999/D4
TD 1999/D5
TD 1999/D6
TD 1999/D7
TD 1999/D8
TD 1999/D9
TD 1999/D10
TD 1999/D11
TD 1999/D12
TD 1999/D13
TD 1999/D14
TD 1999/D15
TD 1999/D16
TD 1999/D18
TD 1999/D19
Legislative References:
ITAA 128F
ITAA 128F(3)(a)
ITAA 128F(9)(b)