Income Tax Assessment Act 1997
SECTION 727-250 Distribution by an entity to a member or beneficiary 727-250(1)
An * indirect value shift does not have consequences under this Division if: (a) the * greater benefits consist entirely of:
(i) a distribution of income or capital that the * losing entity makes to the * gaining entity; or
because the gaining entity holds * primary equity interests in the losing entity; and (b) either:
(ii) a right to a distribution of income or capital that the losing entity is to make to the gaining entity;
(i) an amount covered by one or more of subsections (2) , (3) and (4) ; or
equals or exceeds the amount of the distribution.
(ii) the total of 2 or more such amounts;
Conditions
727-250(2)
This subsection covers an amount that the assessable income, *exempt income or *non-assessable non-exempt income of the gaining entity for any income year includes because of the distribution or right.
727-250(3)
This subsection covers an amount by which the * cost base or * reduced cost base (or both) of some or all of the * primary equity interests referred to in subsection (1) changes because of the distribution or right.
727-250(4)
This subsection covers an amount that, because of the distribution or right, is taken into account: (a) under section 116-20 in working out the * capital proceeds of a * CGT event that happens during any income year to some or all of the * primary equity interests referred to in subsection (1) ; or (b) in working out a * capital gain that an entity makes from CGT event E4 or G1 happening during any income year to some or all of those primary equity interests; or (c) in working out whether a loss or gain is * realised for income tax purposes by a * realisation event that happens to some or all of those primary equity interests (in their character as * trading stock or * revenue assets).
Application of section to deemed dividend
727-250(5)
If a * corporate tax entity makes a * distribution that is not otherwise a distribution of income or capital, this section applies as if the distribution were a distribution of income or capital the entity made.
Note:
Subsection (5) extends this section to cover something that is taken to be a dividend paid by a company. Compare item 1 of the table in subsection 960-120(1) .
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