Income Tax Assessment Act 1997
Note:
The normal partnership provisions will apply of their own force to foreign hybrids that are foreign hybrid limited partnerships.
The interest that each partner has in the assets of the partnership, under the partnership agreement, is equal to the percentage in subsection (2).
830-35(2)
The percentage is the percentage that, if the capital of the company were distributed to its *shareholders on a winding-up of the company at the end of the income year, the partner, as a shareholder, could reasonably be expected to receive of the total distribution.
This information is provided by CCH Australia Limited Link opens in new window. View the disclaimer and notice of copyright.