Income Tax Assessment Act 1997
SECTION 820-46 Thin capitalisation rule for general class investors
Thin capitalisation rule
820-46(1)
This subsection disallows all or part of an entity ' s * debt deductions for an income year if, for that year: (a) the entity is a * general class investor (see subsection (2) ); and (b) the entity:
(i) has not made a choice under subsection (3) or (4) (fixed ratio test applies); or
(ii) has made a choice under subsection (3) (group ratio test applies); or
(iii) has made a choice under subsection (4) (third party debt test applies).
Note 1:
This Subdivision does not apply if the total debt deductions of that entity and all its associate entities for that year are $ 2 million or less, see section 820-35 .
Note 2:
To work out the amount to be disallowed, see section 820-50 .
Note 3:
A consolidated group or MEC group may be a general class investor to which this Subdivision applies: see Subdivisions 820-FA and 820-FB .
General class investor
820-46(2)
The entity is a general class investor for an income year if, and only if: (a) for a period that is all or part of the income year, the entity is not any of the following:
(i) an * outward investing financial entity (non-ADI);
(ii) an * inward investing financial entity (non-ADI);
(iii) an * outward investing entity (ADI);
(b) assuming that the entity were a * financial entity for all of the income year, it would be, for the income year, any of the following:
(iv) an * inward investing entity (ADI); and
(i) an outward investing financial entity (non-ADI);
(ii) an inward investing financial entity (non-ADI).
820-46(3)
An entity that is a * general class investor for an income year may make a choice under this subsection to apply the group ratio test in relation to that income year if: (a) the entity is a * GR group member for the period corresponding to the income year of a * GR group for the period; and (b) the * GR group EBITDA for the period of the GR group is greater than zero.
820-46(4)
An entity that is a * general class investor for an income year may make a choice under this subsection to apply the third party debt test in relation to that income year.
820-46(5)
An entity that is a * general class investor for an income year is taken to have made a choice under subsection (4) in relation to that income year if section 820-48 applies to the entity in relation to that income year.
820-46(6)
Subsection (5) applies despite subsection 820-47(1) .
This information is provided by CCH Australia Limited Link opens in new window. View the disclaimer and notice of copyright.