Treasury Laws Amendment (2020 Measures No. 2) Act 2020 (79 of 2020)
Schedule 1 Hybrid mismatch rules
Part 4 Foreign income tax deductions for regulatory capital
Income Tax Assessment Act 1997
62 At the end of Division 15
Add:
15-80 Franked distributions entitled to a foreign income tax deduction - Additional Tier 1 capital exception
(1) If section 207-158 would, apart from subsection 207-158(2), apply to a *franked distribution, then an amount equal to the *foreign income tax deduction referred to in subsection (1) of that section is included in the assessable income of the entity that made the distribution for the income year mentioned in subsection (2) of this section.
(2) The income year is:
(a) if the *foreign tax period in which the *foreign income tax deduction arises falls wholly within an income year of the entity - that income year; or
(b) if the foreign tax period in which the foreign income tax deduction arises straddles 2 income years of the entity - the later of those income years.
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