Income Tax Assessment Act 1997
Section 723-10 or 723-15 applies differently if: (a) a * realisation event happens to some part of a * CGT asset (the underlying asset ) you own that, at the time of the event:
(i) is not a * depreciating asset; or
(ii) is an item of your * trading stock; or
but not to the remainder of the underlying asset; or (b) a realisation event consists of creating an interest in a CGT asset (also the underlying asset ) you own that, at the time of the event, is covered by subparagraph (a)(i) , (ii) or (iii) .
(iii) is a * revenue asset of yours;
723-25(2)
The section applies on the basis that: (a) the * realisation event happens to the underlying asset; and (b) the shortfall on creating the right referred to in paragraph 723-10(1)(e) or 723-15(1)(c) ; and (c) the deficit on realisation referred to in paragraph 723-10(1)(g) or 723-15(1)(e) ;
are each reduced by multiplying its amount by this fraction:
*Market value of part
*Market value of underlying asset |
723-25(3)
For the purposes of the formula in subsection (2) :
market value of part
means the *market value, at the time of the
*
realisation event, of the part referred to in paragraph
(1)(a)
or the interest referred to in paragraph
(1)(b)
, as appropriate.
market value of underlying asset
means the *market value, immediately before the
*
realisation event, of the underlying asset.
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