Income Tax Assessment Act 1997
CHAPTER 3 - SPECIALIST LIABILITY RULES
PART 3-1 - CAPITAL GAINS AND LOSSES: GENERAL TOPICS
SECTION 104-135 Capital payment for shares: CGT event G1
104-135(1)
CGT event G1
happens if:
(a)
a company makes a payment to you in respect of a *share you own in the company (except for *CGT event A1 or C2 happening in relation to the share); and
(b)
some or all of the payment (the
non-assessable part
) is not a *dividend, or an amount that is taken to be a dividend under section
47
of the
Income Tax Assessment Act 1936
; and
(c)
the payment is not included in your assessable income.
The payment can include giving property: see section 103-5 .
104-135(1A)
In working out the non-assessable part, disregard any part of the payment that is:
(aa)
*non-assessable non-exempt income; or
(b)
compensation you paid that can reasonably be regarded as a repayment of all or part of the payment; or
(c)
an amount referred to in section
152-125
(which exempts a payment of a small business 15-year exemption amount) as an exempt amount.
The payment can include giving property: see section 103-5 .
104-135(1B)
However, the non-assessable part is not reduced by any part of the payment that you can deduct.
104-135(2)
The time of the event is when the company makes the payment.
104-135(3)
You make a
capital gain
if the amount of the non-assessable part is
more
than the *share
'
s *cost base. If you make a *capital gain, the share
'
s *cost base and *reduced cost base are reduced to nil.
Note 1:
You cannot make a capital loss.
Note 2:
A capital gain under former section 160ZL of the Income Tax Assessment Act 1936 is also taken into account for the purposes of this subsection: see section 104-135 of the Income Tax (Transitional Provisions) Act 1997 .
104-135(4)
However, if the amount of the non-assessable part is not more than the *share
'
s *cost base, that cost base and its *reduced cost base are reduced by the amount of the non-assessable part.
Note:
Cost base adjustments are made only under Subdivision 125-B if there is a roll-over under that Subdivision for CGT event G1 happening as a result of a demerger.
Exceptions
104-135(5)
A *capital gain you make is disregarded if you *acquired the *CGT asset that is the *share before 20 September 1985.
104-135(6)
You disregard a payment by a liquidator for the purposes of this section if the company ceases to exist within 18 months of the payment.
Note:
The payment will be part of your capital proceeds for CGT event C2 happening when the share ends.
104-135(7)
You also disregard a payment that is *personal services income included in your assessable income, or another entity ' s assessable income, under section 86-15 .
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