Income Tax Assessment Act 1997
No capital proceeds
116-30(1)
If you received no *capital proceeds from a *CGT event, you are taken to have received the *market value of the *CGT asset that is the subject of the event. (The market value is worked out as at the time of the event.)
Example:
You give a CGT asset to another entity. You are taken to have received the market value of the CGT asset.
There are capital proceeds
116-30(2)
The *capital proceeds from a *CGT event are replaced with the *market value of the *CGT asset that is the subject of the event if:
(a) some or all of those proceeds cannot be valued; or
(b) those capital proceeds are more or less than the market value of the asset and:
(i) you and the entity that *acquired the asset from you did not deal with each other at *arm ' s length in connection with the event; or
(ii) the CGT event is CGT event C2 (about cancellation, surrender and similar endings).
(The market value is worked out as at the time of the event.)
116-30(2A)
Subsection (2) does not apply if there is a partial roll-over for the *CGT event because of section 124-150 .
116-30(2B)
Subsection (2) does not apply to a situation that would otherwise be covered by paragraph (2)(b) if the *CGT event is *CGT event C2 (about cancellation, surrender and similar endings) and the *CGT asset that is the subject of the event is:
(a) a *share in a company that has at least 300 *members and is not a company that is covered by section 116-35 ; or
(b) a unit in a unit trust that has at least 300 unit holders and is not a trust that is covered by section 116-35 .
Note:
So, for one of these assets, the capital proceeds for the cancellation will be what you actually received.
116-30(2C)
Subsection (2) does not apply if: (a) you are a *complying superannuation fund, a *complying approved deposit fund or a *pooled superannuation trust; and (b) the *capital proceeds from the *CGT event exceed the *market value of the *CGT asset; and (c) assuming the capital proceeds were your *statutory income, the proceeds would be *non-arm ' s length income.
Market value for CGT events C2 and D1
116-30(3)
Subsection (1) does not apply to:
(a) these examples of *CGT event C2:
(i) the expiry of a *CGT asset you own;
(ii) the cancellation of your *statutory licence; or
(b) *CGT event D1 (about creating contractual or other rights).
116-30(3A)
If you need to work out the *market value of a *CGT asset that is the subject of *CGT event C2, work it out as if the event had not occurred and was never proposed to occur.
Example:
A company cancels shares you own in it. You work out the market value of the shares by disregarding the cancellation.
CGT assets the subject of certain events
116-30(4)
To avoid doubt, the *CGT asset that is the subject of a *CGT event specified in this table is the asset so specified.
*CGT assets the subject of certain events | |
For this *CGT event: | This asset is the subject of the event: |
D1 | the right you created |
. | |
D2 | the option you granted |
. | |
D3 | the right you granted |
. | |
E8 | your interest or part interest in the trust capital |
. | |
K1 | (Repealed by No 77 of 2001) |
. | |
K6 | the *share or interest you *acquired before 20 September 1985 |
Carried interests
116-30(5)
This section does not apply to *CGT event A1 or C2 to the extent that the CGT event is constituted by ceasing to own:
(a) the *carried interest of a *general partner in a *VCLP, an *ESVCLP or an *AFOF or a *limited partner in a *VCMP; or
(b) an entitlement to receive a payment of such a carried interest.
Note:
This section does not apply to ESS interests acquired under employee share schemes: see subsection 130-80(4) .
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