Income Tax Assessment Act 1997
The * reduced cost base of a * primary equity interest, * secondary equity interest, or * indirect primary equity interest, in a company or trust is reduced just before a * realisation event that is a * CGT event happens to the interest if:
(a) apart from this Division, a loss would be * realised for income tax purposes by the CGT event; and
(b) apart from this Division, a loss would have been * realised for income tax purposes by a realisation event if the event had happened, just before the CGT event, to a * CGT asset (the underlying asset ) that the company or trust then owned and that:
(i) was not then a * depreciating asset; or
(ii) was then an item of * trading stock of the company or trust; or
(iii) was then a * revenue asset of the company or trust; and
(c) the loss referred to in paragraph (b) would have been reduced under Subdivision 723-A by an amount (the underlying asset loss reduction ); and
(d) for the entity (the transferor ) that owned the interest just before the CGT event, the interest was a * direct roll-over replacement or * indirect roll-over replacement for the underlying asset.
723-105(2)
If the interest was a * direct roll-over replacement, its * reduced cost base is reduced by the amount worked out using this formula, unless that amount does not appropriately reflect the matters referred to in subsection (4):
RCB of interest
Total of RCBs of direct roll-over replacements |
× Underlying asset loss reduction |
723-105(3)
For the purposes of the formula in subsection (2):
RCB of interest
means the interest
'
s
*
reduced cost base when the transferor
*
acquired it.
total of RCBs of direct roll-over replacements
means the total of the
*
reduced cost bases of all
*
direct roll-over replacements for the underlying asset when the transferor
*
acquired them.
723-105(4)
If:
(a) the interest was an * indirect roll-over replacement; or
(b) the amount worked out under subsection (2) does not appropriately reflect the matters referred to in this subsection;
the interest ' s * reduced cost base is reduced by an amount that is appropriate having regard to these matters:
(c) the underlying asset loss reduction; and
(d) the quantum of the interest relative to all * direct roll-over replacements and indirect roll-over replacements that the transferor owns or has previously owned.
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