S 616 repealed by No 114 of 2010, s 3 and Sch 1 item 37, applicable in relation to the 2010-11 year of income for a taxpayer and later years of income. For saving provisions, see note under Part
XI
heading. S 616 formerly read:
SECTION 616 INTEREST IN FIF
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IF MARKET VALUE METHOD WAS APPLIED
616
If, in the case of an interest or interests in a FIF, the market value method was applied to determine whether foreign investment fund income accrued to the taxpayer from the FIF in respect of the notional accounting period of the FIF that ended in the year of income, the taxpayer must make and keep records in Australia containing particulars of:
(a)
if any foreign investment fund income accrued to the taxpayer from the FIF in respect of that notional accounting period
-
the basis of the calculation of:
(i)
that foreign investment fund income; and
(ii)
any unapplied previous foreign investment fund loss referred to in subsection
542(2)
; or
(b)
if any foreign investment fund loss was incurred by the taxpayer from the FIF in respect of that notional accounting period
-
the basis of the calculation of that foreign investment fund loss.
S 616 inserted by No 190 of 1992.