CHAPTER 3
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SPECIALIST LIABILITY RULES
PART 3-1
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CAPITAL GAINS AND LOSSES: GENERAL TOPICS
History
Pt 3-1 inserted by No 46 of 1998.
Division 104
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CGT events
History
Div 104 inserted by No 46 of 1998.
Subdivision 104-J
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CGT events relating to roll-overs
History
Subdiv 104-J heading substituted by No 173 of 2000.
SECTION 104-190
Replacement asset period
104-190(1A)
If you choose a small business roll-over under Subdivision
152-E
for a *CGT event that happens in relation to a *CGT asset in an income year, the
replacement asset period
is the period:
(a)
starting one year before the last CGT event in the income year for which you obtain the roll-over; and
(b)
ending at the later of:
(i)
2 years after that last CGT event; and
(ii)
if the first-mentioned CGT event happened because you *disposed of the CGT asset
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6 months after the latest time a possible *financial benefit becomes or could become due under a *look-through earnout right relating to the CGT asset and the disposal.
History
S 104-190(1A) inserted by No 10 of 2016, s 3 and Sch 1 item 8, applicable in relation to look-through earnout rights created on or after 24 April 2015. For transitional provision, see note under Subdiv
118-I
heading.
104-190(1)
The
replacement asset period
is modified if your *capital proceeds for the *CGT event are increased under subsection
116-45(2)
or
116-60(3)
after the end of that period. Instead, you have until 12 months after you receive those additional proceeds to *acquire a replacement asset, or incur *fourth element expenditure in relation to a *CGT asset, or do both.
Note:
Section
116-45
applies if you do not receive your capital proceeds despite having taken all reasonable steps to get them, and section
116-60
applies if your capital proceeds are misappropriated by your employee or agent.
History
S 104-190(1) amended by No 10 of 2016, s 3 and Sch 1 item 9, by substituting
"
replacement asset period
"
for
"
replacement asset period
"
, applicable in relation to look-through earnout rights created on or after 24 April 2015. For transitional provision, see note under Subdiv
118-I
heading.
S 104-190(1) amended by
No 38 of 2008
, s 3 and Sch 1 items 5 and 6, by inserting
"
or 116-60(3)
"
after
"
subsection 116-45(2)
"
and substituting the note, applicable to amounts misappropriated in the 2007-08 income year and later income years. The note formerly read:
Note:
Section
116-45
applies if you do not receive your capital proceeds despite having taken all reasonable steps to get them.
104-190(2)
The Commissioner may extend the
replacement asset period
, or that period as modified by subsection (1).
History
S 104-190(2) amended by No 10 of 2016, s 3 and Sch 1 item 9, by substituting
"
replacement asset period
"
for
"
replacement asset period
"
, applicable in relation to look-through earnout rights created on or after 24 April 2015. For transitional provision, see note under Subdiv
118-I
heading.
History
S 104-190 substituted by
No 55 of 2007
, s 3 and Sch 1 item 12, applicable to CGT events happening in the 2006-07 income year or later income years. S 104-190 formerly read:
SECTION 104-190 Change of circumstances where a share or interest is a replacement asset for a roll-over under Subdivision 152-E: CGT event J3
104-190(1)
CGT event J3
happens if you choose a *share in a company or an interest in a trust as a replacement asset for a roll-over under Subdivision
152-E
and:
(a)
if the replacement asset conditions in section
152-420
were satisfied because you were a *controlling individual of the company or trust
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you stop being a controlling individual of the company or trust; or
(b)
if those conditions were satisfied because an entity *connected with you was a *controlling individual of the company or trust:
(i)
that entity stops being a controlling individual of the company or trust; or
(ii)
that entity stops being connected with you; or
(c)
the *share or interest ceases to be an *active asset;
(d)
(Repealed by No 165 of 1999)
and you own the share or interest just after the change in circumstances.
Note:
CGT event J3 can also happen in relation to a capital gain you rolled-over under Division
17A
of former Part IIIA of the
Income Tax Assessment Act 1936
or Division
123
of the
Income Tax Assessment Act 1997
if certain circumstances change: see section
104-190
of the
Income Tax (Transitional Provisions) Act 1997
.
History
S 104-190(1) amended by
No 101 of 2006
, s 3 and Sch 2 item 685, by amending the reference to a repealed inoperative provision in the note, effective 14 September 2006.
S 104-190(1) amended by 101 of 2003, No 173 of 2000 and No 165 of 1999.
104-190(2)
The time of the event is when the change in circumstances happens.
104-190(3)
You make a
capital gain
equal to the amount of the capital gain that you disregarded for the share or interest under Subdivision
152-E
.
History
S 104-190(3) amended by No 165 of 1999.
Exceptions
104-190(4)
CGT event J3
does not happen because of paragraph (1)(b) if the replacement asset conditions in section
152-420
were also satisfied because you were a *controlling individual of the company or trust and you remain such a controlling individual.
History
S 104-190(4) amended by No 165 of 1999.
104-190(5)
CGT event J3
does not happen because of paragraph (1)(c) if the share or interest ceased to be an *active asset only because of changes in the *market values of assets that were owned by the company or trust when you chose the *share or interest as a replacement asset.
History
S 104-190(5) amended by No 165 of 1999.
S 104-190 inserted by No 94 of 1999.