S 716-805 repealed by
No 164 of 2007
, s 3 and Sch 6 item 2, applicable to:
(a) any tax loss that is incurred in an income year commencing on or after 1 July 2005; and
(b) any net capital loss that is made in an income year commencing on or after 1 July 2005; and
(c) any deduction in respect of a bad debt that is incurred in an income year commencing on or after 1 July 2005.
S 716-805 formerly read:
SECTION 716-805 Some companies cannot satisfy the same business test
716-805(1)
For the purposes of this Part (other than subparagraphs
707-125(2)(a)(ii)
and
(4)(a)(ii)
, Subdivision
709-D
and Division
715
), a company does
not
satisfy the
*
same business test for the
*
same business test period if the
*
total income of the company for the income year mentioned in paragraph (a) or (b) is more than $100 million:
(a)
unless paragraph (b) applies
-
the income year whose last day falls within the
*
trial year; or
(b)
if there is no such day in the trial year
-
the income year in which the joining time occurs.
Note:
Section
165-212C
sets out how to work out the total income of a company that is not able to work out its total income for a 12 month period.
716-805(2)
For the purposes of subparagraph
707-125(2)(a)(ii)
or
(4)(a)(ii)
, a company does
not
satisfy the
*
same business test for the
*
same business test period if the
*
total income of the company for the income year mentioned in that subparagraph is more than $100 million.
716-805(3)
For the purposes of Subdivision
709-D
, a company does
not
satisfy the
*
same business test for the
*
same business test period if the
*
total income of the company for the following income year is more than $100 million:
(a)
if item 1 of the table in subsection
709-215(3)
applies
-
the income year in which the write-off time occurs;
(b)
if item 2 of the table in subsection
709-215(3)
applies
-
the income year in which the debt test period ends.
716-805(4)
For the purposes of Division
715
, a company does
not
satisfy the
*
same business test for the
*
same business test period if the
*
total income of the company for the following income year is more than $100 million:
(a)
for the purposes of section
715-95
(unless paragraph (c) of this section applies)
-
the income year whose last day falls within the 12 months before the leaving time;
(b)
for the purposes of the rest of Division
715
(unless paragraph (c) of this subsection applies)
-
the income year whose last day falls within the
*
trial year;
(c)
if paragraph (a) or (b) of this subsection applies but there is no such day in those 12 months or the trial year
-
the income year in which the joining time or the leaving time occurs.
S 716-805 inserted by No 147 of 2005, s 3 and Sch 1 item 133, effective 14 December 2005. For application provision, see note under s 165-13(1).