SCHEDULE 1
-
COLLECTION AND RECOVERY OF INCOME TAX AND OTHER LIABILITIES
History
Sch 1 inserted by No 178 of 1999 (as amended by No 179 of 1999 and No 44 of 2000).
Note: See section
3AA
.
Chapter 3
-
Collection, recovery and administration of other taxes
History
Ch 3 inserted by
No 73 of 2006
, s 3 and Sch 5 item 41, effective 1 July 2006.
PART 3-18
-
AUSTRALIAN IIR/UTPR TAX AND AUSTRALIAN DMT TAX
History
Pt 3-18 inserted by No 134 of 2024, s 3 and Sch 1 item 35, effective 11 December 2024 and applicable in relation to Fiscal Years starting on or after 1 January 2024. No 134 of 2024, s 3 and Sch 1 item 69 contain the following transitional provisions:
69 Transitional provisions
-
due date for returns and amounts
(1)
Despite subsections
127-60(1)
and
(2)
in Schedule
1
to the
Taxation Administration Act 1953
, a GloBE Information Return, Australian IIR/UTPR tax return or Australian DMT tax return that, apart from this subitem, would be required to be given to the Commissioner no later than a particular time occurring before 30 June 2026 is required to be given to the Commissioner no later than 30 June 2026.
(2)
Despite subsections
127-70(1)
,
(2)
,
(3)
and
(4)
in Schedule
1
to the
Taxation Administration Act 1953
, an amount of:
(a)
Australian IIR/UTPR tax or Australian DMT tax (including extra such tax resulting from the amendment of an assessment); or
(b)
shortfall interest charge payable under section
280-102E
;
that, apart from this subitem, would be due and payable before 30 June 2026 is due and payable on 30 June 2026.
Division 128
-
Extended application of tax laws relating to Australian IIR/UTPR tax and Australian DMT tax
History
Div 128 inserted by No 134 of 2024, s 3 and Sch 1 item 35, effective 11 December 2024 and applicable in relation to Fiscal Years starting on or after 1 January 2024. For transitional provisions, see note under Sch
1
Pt
3-18
heading.
Subdivision 128-A
-
Additional liability of Entities in Group or JV Group
History
Subdiv 128-A inserted by No 134 of 2024, s 3 and Sch 1 item 35, effective 11 December 2024 and applicable in relation to Fiscal Years starting on or after 1 January 2024. For transitional provisions, see note under Sch
1
Pt
3-18
heading.
SECTION 128-10
ADDITIONAL LIABILITY OF ENTITIES IN A JV GROUP
128-10(1)
Subsection
(2)
applies if an amount is payable under the
*
Minimum Tax law by any of the following:
(a)
a
*
GloBE Joint Venture of an
*
Applicable MNE Group;
(b)
a
*
GloBE JV Subsidiary of a GloBE Joint Venture of an Applicable MNE Group.
128-10(2)
Each of the following Entities (other than an Entity excluded by subsection
(3)
) is jointly and severally liable to pay the amount:
(a)
the
*
GloBE Joint Venture;
(b)
a
*
GloBE JV Subsidiary of the GloBE Joint Venture;
(c)
a
*
Group Entity of the
*
Applicable MNE Group that holds a Direct Ownership Interest (within the meaning of the
*
Minimum Tax Act) in the GloBE Joint Venture.
128-10(3)
For the purposes of subsection
(2)
, an Entity is excluded by this subsection if it is, at the time the amount becomes due and payable, prohibited according to the effect of an
*
Australian law from entering into any arrangement under which the Entity becomes subject to a liability referred to in subsection
(2)
.
History
S 128-10 inserted by No 134 of 2024, s 3 and Sch 1 item 35, effective 11 December 2024 and applicable in relation to Fiscal Years starting on or after 1 January 2024. For transitional provisions, see note under Sch
1
Pt
3-18
heading.