Income Tax Assessment Act 1997
SECTION 126-60 Consequences of roll-over
Consequences for the originating company in all cases
126-60(1)
A *capital gain the originating company makes from the trigger event is disregarded.
Consequences for the recipient company (disposal case)
126-60(2)
For a disposal case, if the originating company *acquired the roll-over asset on or after 20 September 1985:
(a) the first element of the asset ' s *cost base (in the hands of the recipient company) is the asset ' s cost base (in the hands of the originating company) when the recipient company acquired it; and
(b) the first element of the asset ' s *reduced cost base (in the hands of the recipient company) is worked out similarly.
Note 1:
There are special indexation rules for roll-overs: see Division 114 .
Note 2:
The reduced cost base may be modified for a roll-over happening after a demerger: see section 125-170 .
126-60(3)
If the originating company *acquired the roll-over asset before 20 September 1985, the recipient company is taken to have acquired it before that day.
Note 1:
A capital gain or loss you make from a CGT asset you acquired before 20 September 1985 is generally disregarded: see Division 104 . This exemption is removed in some situations: see, for example, Division 149 .
Note 2:
Under section 716-855 , where there have been certain roll-overs, the cost base and reduced cost base of pre-CGT assets for the purposes of Part 3-90 (Consolidated groups) are worked out by applying subsection (2), rather than subsection (3), of this section.
126-60(4)
If the trigger event involved a *personal use asset of the originating company, the recipient company is taken to have *acquired one.
Consequences for the recipient company (creation case)
126-60(5)
For a creation case, the first element of the asset ' s *cost base (in the hands of the recipient company) is the amount applicable under this table. The first element of its *reduced cost base is worked out similarly.
Creation case | |
Event No. | Applicable amount |
D1 | the *incidental costs the originating company incurred that relate to the trigger event |
. | |
D2 | the expenditure the originating company incurred to grant the option |
. | |
D3 | the expenditure the originating company incurred to grant the right |
. | |
F1 | the expenditure the originating company incurred on the grant, renewal or extension of the lease |
The expenditure can include giving property: see section 103-5 .
Note:
CGT event J1 may occur if the recipient company stops being a member of the wholly-owned group while still owning the roll-over asset: see section 104-175 .
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