Income Tax Assessment Act 1997
CHAPTER 3 - SPECIALIST LIABILITY RULES
Division 725 - Direct value shifting affecting interests in companies and trusts
Subdivision 725-C - Consequences of a direct value shift
Special cases
SECTION 725-230 Off-market buy-backs
725-230(1)
The consequences are different if:
(a)
a decrease in the *market value of a
*
down interest of which you are an
*
affected owner is reasonably attributable to the target entity proposing to buy back that interest for less than its market value; and
(b)
the target entity does buy back that down interest; and
(c)
subsection
159GZZZQ(2)
of the
Income Tax Assessment Act 1936
treats you as having received the down interest
'
s market value worked out as if the buy-back had not occurred and was never proposed to occur.
725-230(2)
The
*
adjustable value of the
*
down interest is not reduced, and there is no
*
taxing event generating a gain.
Note:
The down interest is not dealt with here because it is already dealt with in Division 16K of Part III of the Income Tax Assessment Act 1936 .
725-230(3)
Also, to the extent that the
*
direct value shift is from the
*
down interest to
*
up interests of which you are an
*
affected owner, uplifts in the
*
adjustable value of the up interests are worked out under either or both of:
(a)
item 8 of the table in subsection
725-250(2)
; and
(b)
item 9 of the table in subsection
725-335(3)
;
as if the down interest were one owned by another affected owner.
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