Income Tax Assessment Act 1997

CHAPTER 4 - INTERNATIONAL ASPECTS OF INCOME TAX  

PART 4-5 - GENERAL  

Division 820 - Thin capitalisation rules  

Subdivision 820-H - Control of entities  

Thin capitalisation control interest

SECTION 820-825   Special rules about calculating TC control interests held by a group of entities  

820-825(1)    
This section applies for the purposes of calculating the total *TC control interests that a group of entities holds in a company, trust or partnership.

820-825(2)    


Take into account a particular *TC direct control interest or *TC indirect control interest only once if it would otherwise be counted more than once because the entity holding it is an *associate entity of one or more entities in the group.

820-825(2A)    


Subsection (2) does not apply to an *associate entity of one or more entities in the group if:


(a) the associate entity is a *foreign entity and the associate entity is such an associate entity only because of subsection 820-905(3A) ; or


(b) the associate entity is such an associate entity only because of subsection 820-905(3B) .


820-825(3)    
Take into account only one of the following things if both of them would otherwise be counted in calculating the total *TC control interests:


(a) the holding of a *TC direct control interest by an entity;


(b) an entitlement to acquire that TC direct control interest.

820-825(4)    
The operation of this section in relation to a group of entities does not prevent the operation of section 820-820 in relation to an entity that is a member of that group.



View surrounding sectionsView surrounding sectionsBack to top


This information is provided by CCH Australia Limited Link opens in new window. View the disclaimer and notice of copyright.