Draft Taxation Determination
TD 2011/D9WER - Erratum to Withdrawal
Income tax: employee share schemes: if a share in a 'no goodwill' professional practice company is acquired by a practitioner-shareholder (or a new practitioner-shareholder), will the Commissioner accept, for the purposes of determining whether that acquisition was at a discount within the meaning of subsection 83A-20(1) of the Income Tax Assessment Act 1997, that the goodwill of the company can be taken to have no value?
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Please note that the PDF version is the authorised version of this draft ruling.View the consolidated version for this notice.
Erratum
This Erratum corrects the reference to the replacement web guidance provided in the Withdrawal Notice.
TD 2011/D9W is corrected as follows:
Omit 'Assessing the risk: acquisitions and disposals of interests in certain professional partnerships, trusts and incorporated practices; substitute 'Administrative treatment: acquisitions and disposals of interests in 'no goodwill' professional partnerships, trusts and incorporated practices.
This Erratum applies on and from 4 May 2016.
Commissioner of Taxation
9 May 2016
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References
ATO references:
NO 1-80TSE13
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