CGT Determination Number 40
TD 40
Capital Gains: What is the treatment where units in a unit trust are issued or redeemed by the trustee?
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Please note that the PDF version is the authorised version of this ruling.
FOI status:
may be releasedFOI number: I 10193381. The treatment differs for the unitholders and the unit trust as follows:-
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UNITHOLDERS
- Issue of units - units issued to a unitholder are an acquisition by virtue of paragraph 160M(5)(aa).
- Redemption of units - the redemption of units would constitute a disposal by virtue of paragraph 160M(3)(b). Any proprietary or equitable interest conferred by the units would be extinguished at the time of redemption, thereby effectively extinguishing the units. UNIT TRUST
- Issue of units - units issued in a unit trust are not a disposal by virtue of paragraph 160M(5)(aa).
- Redemption of units - there is no acquisition of units in a unit trust by the trustee as the units are extinguished when redeemed.
Commissioner of Taxation
31 January 1992
References
ATO references:
NO ADV TVLLE
ISSN 1037 - 1419
Subject References:
Issue and redemption of units in a unit trust
Legislative References:
160M(5)(aa);
160M(3)(b)
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