CHAPTER 3
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SPECIALIST LIABILITY RULES
PART 3-5
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CORPORATE TAXPAYERS AND CORPORATE DISTRIBUTIONS
Division 165
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Income tax consequences of changing ownership or control of a company
Subdivision 165-D
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Tests for finding out whether the company has maintained the same owners
Rules affecting the operation of the tests
SECTION 165-207
Trustees of family trusts
165-207(1)
This section applies if one or more trustees of a *family trust:
(a)
owns *shares in a company; or
(b)
controls, or is able to control, (whether directly, or indirectly through one or more interposed entities) voting power in a company; or
(c)
has a right to receive (whether directly, or *indirectly through one or more interposed entities) a percentage of a *dividend or a distribution of capital of a company.
165-207(2)
For the purposes of a primary test, a single notional entity that is a person (but is neither a company nor a trustee) is taken to own the *shares beneficially.
Note:
For a primary test, see subsections
165-150(1)
,
165-155(1)
and
165-160(1)
.
165-207(3)
For the purposes of an alternative test, a single notional entity that is a person (but is neither a company nor a trustee) is taken:
(a)
to control, or have the ability to control, the voting power in the company; or
(b)
to have the right to receive (whether directly or *indirectly) the percentage of the *dividend or distribution for the entity's own benefit.
Note:
For an alternative test, see subsections
165-150(2)
,
165-155(2)
and
165-160(2)
.
165-207(4)
If a trustee of the trust is subsequently replaced by another trustee of the trust, the same single notional entity is taken:
(a)
to own the *shares beneficially; or
(b)
to control, or have the ability to control, the voting power in the company; or
(c)
to have the right to receive (whether directly or *indirectly) the percentage of the *dividend or distribution for the entity's own benefit.
History
S 165-207 substituted by No 147 of 2005, s 3 and Sch 1 item 72, applicable in accordance with subitem 17(3) of Schedule 10 to the
Taxation Laws Amendment Act (No 2) 2000
[
see note for Act No 58 of 2000 reproduced below]. S 165-207 formerly read:
Trustee of family trust treated as beneficial owner
165-207(1)
For the purposes of a primary test, the trustee of a *family trust who owns *shares in a company is taken to own the shares beneficially.
165-207(2)
For the purposes of an alternative test, the trustee of a *family trust who has the right to receive (whether directly, or indirectly through one or more interposed entities) a percentage of a *dividend or a distribution of capital is taken:
(a)
to have the right to receive the percentage for the trustees own benefit; and
(b)
if the trustee is a company
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not to be a company.
S 165-207 inserted by No 58 of 2000.
Act No 58 of 2000, Sch 10, contained the following application provision:
17(3)
The amendments made by items 12 and 13 apply:
(a)
so far as the amendments affect Subdivision 165-A (including as modified by Subdivision 166-A) of the
Income Tax Assessment Act 1997
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where the loss year mentioned in that Subdivision is the 1996-97 income year or any later income year and the income year mentioned in that Subdivision is the 1997-98 income year or any later income year; and
(b)
so far as the amendments affect Subdivision 165-B (including as modified by Subdivision 166-B) of the
Income Tax Assessment Act 1997
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where the income year mentioned in that Subdivision is the 1997-98 income year or any later income year; and
(c)
so far as the amendments affect Subdivision 165-CA of the
Income Tax Assessment Act 1997
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where the earlier income year mentioned in that Subdivision is the 1996-97 income year or any later income year and the current income year mentioned in that Subdivision is the 1998-99 income year or any later income year; and
(d)
so far as the amendments affect Subdivision 165-CB (including as modified by Subdivision 166-B) of the
Income Tax Assessment Act 1997
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where the income year mentioned in that Subdivision is the 1998-99 income year or any later income year; and
(e)
so far as the amendments affect Subdivision 165-C (including as modified by Subdivision 166-C) of the
Income Tax Assessment Act 1997
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where the debt mentioned in that Subdivision was incurred in the 1996-97 income year or any later income year and the current year mentioned in that Subdivision is the 1998-99 income year or any later income year.