Income Tax Assessment Act 1997

CHAPTER 4 - INTERNATIONAL ASPECTS OF INCOME TAX  

PART 4-5 - GENERAL  

Division 830 - Foreign hybrids  

Subdivision 830-D - Special rules applicable when an entity becomes or ceases to be a foreign hybrid  

Note:

In the case of a foreign hybrid company, references in this Subdivision that relate to partnerships are to be read subject to Subdivision 830-B . For example, a reference to a partner will be a reference to a shareholder in the company who is treated by Subdivision 830-B as a partner.

SECTION 830-100  

830-100   What the expression tax cost means  


The tax cost of a partner's interest in an asset or of an asset of the entity for the purposes of applying an *asset-based income tax regime at the start of the post-hybrid year or the hybrid year is worked out using the following table:


Tax cost of an asset
Item If the asset-based income tax regime is: the tax cost of the interest or the asset is:
1 Subdivisions 40-A to 40-D, sections 40-425 to 40-445 and Subdivision 328-D the *adjustable value of the interest or the asset at the start of the post-hybrid year or the hybrid year
2 Division 70 the value of the interest or the asset at the start of the post-hybrid year or the hybrid year under Division 70
3 Part 3-1 or 3-3 the *cost base or *reduced cost base of the interest or the asset at the start of the post-hybrid year or the hybrid year
4 Division 16E of Part III of the Income Tax Assessment Act 1936 the amount that the partner or entity would need to receive if it were to dispose of the interest or asset at the start of the post-hybrid year or the hybrid year without an amount being assessable income of, or deductible to, the partner or entity under section 159GS of the Income Tax Assessment Act 1936
5 Any other provision of this Act or the Income Tax Assessment Act 1936 the cost of the interest or the asset at the start of the post-hybrid year or the hybrid year


View surrounding sectionsView surrounding sectionsBack to top


This information is provided by CCH Australia Limited Link opens in new window. View the disclaimer and notice of copyright.