CHAPTER 3
-
SPECIALIST LIABILITY RULES
PART 3-90
-
CONSOLIDATED GROUPS
History
Part 3-90 inserted by No 68 of 2002, s 3 and Sch 1 item 2, effective 24 October 2002 and applicable on and after 1 July 2002 (see sec
700-1
of the
Income Tax (Transitional Provisions) Act 1997
).
Division 705
-
Tax cost setting amount for assets where entities become subsidiary members of consolidated groups
History
Div 705 inserted by No 68 of 2002, s 3 and Sch 1 item 2, effective 24 October 2002 and applicable on and after 1 July 2002 (see sec
700-1
of the
Income Tax (Transitional Provisions) Act 1997
).
Subdivision 705-C
-
Case where a consolidated group is acquired by another
History
Subdiv 705-C inserted by No 117 of 2002, s 3 and Sch 4 item 4, effective 24 October 2002 and applicable on and after 1 July 2002 (see sec
700-1
of the
Income Tax (Transitional Provisions) Act 1997
).
Modifications of Subdivision 705-A for the purposes of this Subdivision
SECTION 705-195
Modified application of subsection 705-65(6)
Object
705-195(1)
The object of this section is to ensure that certain *non-membership equity interests held by
*
members of the acquiring group that are part of the cost of acquiring the acquired group are taken into account in working out the acquiring group's
*
allocable cost amount for the acquired group.
History
S 705-195(1) amended by No 56 of 2010, s 3 and Sch 5 item 208, by substituting
"
*non-membership equity interests
"
for
"
rights or options
"
. For application provision see note under s
705-65(6)
.
Non-membership equity interests
705-195(2)
Subsection
705-65(6)
has effect as if it also treated as a *membership interest in the *head company of the acquired group a *non-membership equity interest in a *subsidiary member of the acquired group, where that interest was held at the acquisition time by a *member of the acquiring group.
History
S 705-195(2) substituted by No 56 of 2010, s 3 and Sch 5 item 209. For application provision see note under s
705-65(6)
.
S 705-195(2) formerly read:
Certain rights or options relating to the acquired group to be treated in same way as membership interests under step 1 of allocable cost amount
705-195(2)
Subsection 705-65(6) has effect as if it also treated as a
*
membership interest in the
*
head company of the acquired group a right or option (including a contingent right or option), created or issued by a
*
subsidiary member of the acquired group, to acquire a membership interest in the subsidiary member, where that right or option was held at the acquisition time by a
*
member of the acquiring group.
History
S 705-195 inserted by No 117 of 2002, s 3 and Sch 4 item 4, effective 24 October 2002 and applicable on and after 1 July 2002 (see sec
700-1
of the
Income Tax (Transitional Provisions) Act 1997
).