Income Tax Assessment Act 1997
CHAPTER 3 - SPECIALIST LIABILITY RULES
PART 3-6 - THE IMPUTATION SYSTEM
Division 207 - Effect of receiving a franked distribution
Subdivision 207-B - Franked distribution received through certain partnerships and trustees
Key concepts
SECTION 207-50 When a franked distribution flows indirectly to or through an entity
207-50(1)
For the purposes of this Subdivision, this section sets out the only circumstances in which a *franked distribution:
(a)
flows indirectly
to an entity (subsection (2), (3) or (4)); or
(b)
flows indirectly
through an entity (subsection (5)).
Partners
207-50(2)
A *franked distribution
flows indirectly
to a partner in a partnership in an income year if, and only if:
(a)
during that income year, the distribution is made to the partnership, or *flows indirectly to the partnership as a beneficiary because of a previous application of subsection (3); and
(b)
the partner has an individual interest:
(i) in the partnership ' s *net income for that income year that is covered by paragraph 92(1)(a) or (b) of the Income Tax Assessment Act 1936 ; or
(whether or not that individual interest becomes assessable income in the hands of the partner); and
(ii) in a *partnership loss of the partnership for that income year that is covered by paragraph 92(2)(a) or (b) of that Act;
(c)
the partner
'
s *share of the distribution under section
207-55
is a positive amount (whether or not the partner actually receives any of that share).
Beneficiaries
207-50(3)
A *franked distribution
flows indirectly
to a beneficiary of a trust in an income year if, and only if:
(a)
during that income year, the distribution is made to the trustee of the trust, or *flows indirectly to the trustee as a partner or beneficiary because of a previous application of subsection (2) or this subsection; and
(b)
the beneficiary has this amount for that income year (the
share amount
):
(i) a share of the trust ' s *net income for that income year that is covered by paragraph 97(1)(a) of the Income Tax Assessment Act 1936 ; or
(whether or not the share amount becomes assessable income in the hands of the beneficiary); and
(ii) an individual interest in the trust ' s net income for that income year that is covered by section 98A or 100 of that Act;
(c)
the beneficiary
'
s *share of the distribution under section
207-55
is a positive amount (whether or not the beneficiary actually receives any of that share).
Trustees
207-50(4)
A *franked distribution
flows indirectly
to the trustee of a trust in an income year if, and only if:
(a)
during that income year, the distribution is made to the trustee, or *flows indirectly to the trustee as a partner or beneficiary because of a previous application of subsection (2) or (3); and
(b)
the trustee is liable or, but for another provision in this Act, would be liable, to be assessed in respect of an amount (the
share amount
) that is:
(i) a share of the trust ' s *net income for that income year under section 98 of the Income Tax Assessment Act 1936 ; or
(whether or not the share amount becomes assessable income in the hands of the trustee); and
(ii) all or a part of the trust ' s net income for that income year under section 99 or 99A of that Act;
(c)
the trustee
'
s *share of the distribution under section
207-55
is a positive amount (whether or not the trustee actually receives any of that share).
Note:
A trustee to whom a franked distribution flows indirectly under this subsection is entitled to a tax offset under section 207-45 and the distribution does not flow indirectly through the trustee to another entity.
207-50(5)
A *franked distribution flows indirectly through an entity (the first entity ) to another entity if, and only if:
(a)
the other entity is the focal entity in an item of the table in section
207-55
in relation to the distribution; and
(b)
that focal entity
'
s *share of the distribution is based on the first entity
'
s share of the distribution as an intermediary entity in that or another item of the table.
Example:
A franked distribution of $140 is made to a partnership. An amount equal to the franking credit on the distribution ($60) is included in the partnership ' s assessable income under section 207-35 . Because the partnership has losses of $300 from other sources, it has a partnership loss of $100 for the income year.
The partnership has 2 equal partners. One partner is the trustee of a trust and the other partner is an individual. The distribution flows indirectly to each partner under subsection (2). Each partner has a share of the partnership loss ($50), a share of the distribution under sections 207-55 ($70) and a share of the franking credit under section 207-57 ($30).
The individual partner is allowed a tax offset of $30 under section 207-45 .
Because the trust has $100 of income from other sources, it has a net income of $50 for that income year ($100 minus the share of the partnership loss of $50).
The trust has one individual as a beneficiary, to whom the distribution flows indirectly under subsection (3). The beneficiary ' s share of the franked distribution is therefore $70 under sections 207-55 and its share of the franking credit is $30 under section 207-57 . The beneficiary is also allowed a tax offset of $30 under section 207-45 .
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