CHAPTER 3
-
SPECIALIST LIABILITY RULES
PART 3-90
-
CONSOLIDATED GROUPS
History
Part 3-90 inserted by No 68 of 2002, s 3 and Sch 1 item 2, effective 24 October 2002 and applicable on and after 1 July 2002 (see sec
700-1
of the
Income Tax (Transitional Provisions) Act 1997
).
Division 715
-
Interactions between this Part and other areas of the income tax law
History
Div 715 inserted by No 16 of 2003 (see s
700-1
of the
Income Tax (Transitional Provisions) Act 1997
).
Subdivision 715-A
-
Treatment of unrealised losses existing when ownership or control of a company changes before or during consolidation
History
Subdiv 715-A inserted by No 16 of 2003, s 3 and Sch 7 item 1, effective 24 October 2002 and applicable on and after 1 July 2002 (see sec
700-1
of the
Income Tax (Transitional Provisions) Act 1997
).
How Subdivision 165-CC applies to consolidated groups
SECTION 715-75
Extension of single entity rule and entry history rule
715-75(1)
Subsection 701-1(1) (Single entity rule) and section
701-5
(Entry history rule) also have effect for all the purposes of Subdivision
165-CC
(about change of ownership or control of a company that has an unrealised net loss).
Note:
One consequence of this is that the head company is the only member of a consolidated group that can have a changeover time and be subject to consequences under Subdivision
165-CC
. The head company is treated as owning all CGT assets owned by group members, and as making relevant losses.
715-75(2)
This section is not intended to limit the effect that subsection
701-1(1)
and section
701-5
have apart from this section.
History
S 715-75 inserted by No 16 of 2003, s 3 and Sch 7 item 1, effective 24 October 2002 and applicable on and after 1 July 2002 (see sec
700-1
of the
Income Tax (Transitional Provisions) Act 1997
).