Income Tax Assessment Act 1997
CHAPTER 3 - SPECIALIST LIABILITY RULES
Division 727 - Indirect value shifting affecting interests in companies and trusts, and arising from non-arm ' s length dealings
Subdivision 727-F - Consequences of an indirect value shift
Choices about method to be used
SECTION 727-550 Choosing the adjustable value method
727-550(1)
This section sets out rules for:
(a)
choosing to use the
*
adjustable value method to work out the consequences of an
*
indirect value shift; or
(b)
choosing (when using the adjustable value method)
not
to work out on a
*
loss-focussed basis the reductions in the
*
adjustable values of
*
affected interests.
Who makes the choice
727-550(2)
The choice must be made in accordance with the table.
Who makes the choice | ||
Item | In this case: | The choice must be made by: |
1 | If the conditions in section 727-110 (common-ownership nexus test) are satisfied | jointly by the *ultimate owners because of whom the condition in the applicable item of the table in section 727-400 is satisfied |
2 | Item 1 does not apply, and there is an entity: | that entity |
(a) who is the sole *ultimate controller because of whom the conditions in section 727-105 (ultimate controller test) are satisfied; or | ||
(b) who would be that sole ultimate controller if sections 727-355 to 727-375 were applied ignoring that entity ' s *associates | ||
3 | Neither of items 1 and 2 applies | jointly by the 2 or more *ultimate controllers because of whom the conditions in section 727-105 (ultimate controller test) are satisfied |
When choice must be made
727-550(3)
The choice must be made within 2 years after the
first
*
realisation event that happens to an
*
affected interest at or after the IVS time.
Choice binds all affected owners
727-550(4)
The choice binds all
*
affected owners for the
*
indirect value shift.
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