CHAPTER 3
-
SPECIALIST LIABILITY RULES
PART 3-5
-
CORPORATE TAXPAYERS AND CORPORATE DISTRIBUTIONS
Division 165
-
Income tax consequences of changing ownership or control of a company
Subdivision 165-F
-
Special provisions relating to ownership by non-fixed trusts
History
Subdiv 165-F inserted by No 58 of 2000.
SECTION 165-225
Special way of dividing the income year under Subdivision 165-B
165-225(1)
If:
(a)
the company is required to calculate:
(i)
its taxable income and *tax loss for the income year under Subdivision
165-B
; and
(ii)
its *net capital gain and *net capital loss for the income year under Subdivision
165-CB
; and
(b)
the company meets the requirements of subsections
165-220(2)
and
(4)
;
then, in dividing the income year into periods, apply subsection (2) of this section instead of subsections
165-45(3)
and
(4)
.
165-225(2)
The last period ends at the end of the income year. Each period (except the last) ends at the earliest of:
(a)
the latest time that would result in the persons holding *fixed entitlements to shares of the income or shares of the capital of:
(i)
if the company meets the requirements of paragraph
165-220(2)(a)
-
the company; or
(ii)
if the company meets the requirements of paragraph
165-220(2)(b)
-
the holding entity mentioned in that paragraph;
and the percentages of the shares that they hold, remaining the same during the whole of the period; and
(b)
the times that, for all of the *non-fixed trusts, other than *excepted trusts, holding directly or indirectly a fixed entitlement to a share of the income or capital of the company at any time during the income year, are the latest times that would result in individuals having *more than a 50% stake in their income or capital; and
(c)
the earliest time in the period when a group (within the meaning of Schedule
2F
to the
Income Tax Assessment Act 1936
) begins to *control a non-fixed trust, other than an excepted trust, that holds directly or indirectly a fixed entitlement to a share of the income or capital of the company at any time during the income year.
Note:
See section
165-245
for when an entity is taken to have held or had, directly or indirectly, a fixed entitlement to a share of income or capital of a company.
History
S 165-225 substituted by No 41 of 2011, s 3 and Sch 5 item 125, effective 27 June 2011. S 165-225 formerly read:
SECTION 165-225
SECTION 165-225 Special way of dividing the income year under Subdivision 165-B
165-225
If:
(a)
the company is required to calculate:
(i)
its taxable income and *tax loss for the income year under Subdivision
165-B
; and
(ii)
its *net capital gain and *net capital loss for the income year under Subdivision
165-CB
; and
(b)
the company meets the requirements of subsections
165-220(2) and (4)
;
section
165-45
is replaced by the following section:
SECTION 165-45 First, divide the income year into periods
165-45(1)
Divide the income year into periods as follows.
165-45(2)
The first period starts at the start of the income year. Each later period starts immediately after the end of the previous period.
165-45(3)
The last period ends at the end of the income year. Each period (except the last) ends at the earliest of:
(a)
the latest time that would result in the persons holding fixed entitlements to shares of the income or shares of the capital of:
(i)
if the company meets the requirements of paragraph
165-220(2)(a)
-
the company; or
(ii)
if the company meets the requirements of paragraph
165-220(2)(b)
-
the holding entity mentioned in that paragraph;
and the percentages of the shares that they hold, remaining the same during the whole of the period; and
(b)
the times that, for all of the non-fixed trusts, other than excepted trusts, holding directly or indirectly a fixed entitlement to a share of the income or capital of the company at any time during the income year, are the latest times that would result in individuals having more than a 50% stake in their income or capital; and
(c)
the earliest time in the period when a group begins to control a non-fixed trust, other than an excepted trust, that holds directly or indirectly a fixed entitlement to a share of the income or capital of the company at any time during the income year.
S 165-225 inserted by No 58 of 2000.