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-A
-
Basic case: a single entity joining an existing consolidated group
History
Subdiv 705-A 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
).
How to work out the allocable cost amount
SECTION 705-80
Liabilities of the joining entity
-
reductions/increases for purposes of step 2 in working out allocable cost amount
Application
705-80(1A)
This section applies to an accounting liability to the extent that it is a liability of a kind described in:
(a)
paragraph
705-70(1AC)(c)
; or
(b)
paragraph
705-70(1AC)(d)
.
History
S 705-80(1A) inserted by No 14 of 2018, s 3 and Sch 1 item 3, effective 1 April 2018 and applicable in relation to an entity that becomes a subsidiary member of a consolidated group or MEC group if the arrangement under which the entity becomes a subsidiary member of the group commences on or after 1 July 2016. See note under s
716-440
.
Adjustment for unrealised gains and losses
705-80(1)
If:
(a)
for income tax purposes, an accounting liability, or a change in the amount of an accounting liability, (other than one owed to a *member of the joined group) is taken into account at a later time than is the case in accordance with the joining entity
'
s *accounting principles for tax cost setting; and
(b)
assuming that, for income tax purposes the accounting liability or change were taken into account at the same time as is the case in accordance with those standards or statements, the joined group
'
s allocable cost amount would be different;
Note:
The difference would arise because subsection
705-70(1)
includes income tax liabilities and steps 3 and 5 of the table in section
705-60
are affected by the time at which changes in liabilities are taken into account for income tax purposes.
then the amount to be added under subsection
705-70(1)
for the accounting liability is:
(c)
if the difference is an increase
-
increased by the amount of the increase; and
(d)
if the difference is a decrease
-
decreased by the amount of the decrease.
History
S 705-80(1) amended by No 14 of 2018, s 3 and Sch 1 item 4, by repealing the example from para (a), effective 1 April 2018 and applicable in relation to an entity that becomes a subsidiary member of a consolidated group or MEC group if the arrangement under which the entity becomes a subsidiary member of the group commences on or after 1 July 2016. See note under s
716-440
. The example formerly read:
Example:
Accrued employee leave entitlements or foreign exchange gains and losses.
S 705-80(1) amended by No 56 of 2010, s 3 and Sch 5 item 98, by substituting
"
the joining entity
'
s *accounting principles for tax cost setting
"
for
"
*accounting standards or statements of accounting concepts made by the Australian Accounting Standards Board
"
in para (a), applicable on and after 10 February 2010.
Use of reliable estimate
705-80(2)
In working out for the purposes of subsection (1) an amount at a particular time or in respect of a particular period, use the most reliable basis for estimation that is available.
Example:
The amount of a change in liability for employee leave entitlements over a period.
History
S 705-80 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
).