Foreign investment funds guide

This version is no longer current. Please follow this link to view the current version.

  • This document has changed over time. View its history.

Chapter 1: Introduction

Timeline:

1987-88

The foreign tax credit system begins.

1990-91

The foreign source income measures relating to controlled foreign companies (CFCs) and transferor trusts are set up.

1993

The FIF measures, introduced by the Income Tax Assessment Amendment (Foreign Investment) Act 1992 , begin operation.

Since the foreign tax credit system was introduced in 1987-88, most foreign income derived by Australian residents has been taxed in Australia, with a credit for foreign tax paid.

The foreign source income measures introduced in 1990-91 aim to tax substantial investments or involvement by Australians in foreign companies and foreign trusts able to shelter low-taxed income.

The FIF measures introduced in 1993 reduce the extent to which Australian residents can defer Australian tax where they hold interests in foreign entities.

The FIF measures apply to income and gains accumulating in foreign companies that are not controlled by Australians or foreign trusts that fall outside the scope of the foreign source income measures.

The FIF measures also apply when working out the income of CFCs and controlled foreign trusts (CFTs), and to certain FLPs that have an investment component (such as life bonds).

ATO references:
NO NAT 2130

Foreign investment funds guide
  Date: Version:
  1 July 2001 Original document
You are here 1 July 2007 Updated document
  1 July 2008 Updated document
  1 July 2009 Archived

View full documentView full documentBack to top