Taxation Determination
TD 93/35W
Income tax: capital gains: what are the CGT consequences where an asset, which was acquired by a legal personal representative (LPR) after the death of the deceased, passes to a remainderman on the death of a life tenant?
-
Please note that the PDF version is the authorised version of this withdrawal notice.This document has changed over time. View its history.
FOI status:
may be releasedFOI number: I 1214304Notice of Withdrawal
Taxation Determination TD 93/35 is withdrawn with effect from today.
1. Taxation Determination TD 93/35 deals with the CGT consequences of an asset acquired by a legal representative after the death of the deceased, and that asset passes to a remainderman on the death of a life tenant.
2. The issue covered in this Determination is now dealt with in Taxation Ruling TR 2005/D14 about the capital gains tax consequences of creating, and dealing in, life and remainder interests in property, which issued today.
3. Accordingly, this Determination is no longer necessary.
Commissioner of Taxation
28 September 2005
Previously issued as Draft TD 93/D6
References
ATO references:
NO 92/1427-5 (CGTDET39)
Related Rulings/Determinations:
TD 93/38
TD 93/37
TD 93/36
Subject References:
absolutely entitled;
assets;
CGT asset
death;
deceased estates;
legal personal representative;
life tenant;
remainderman
Legislative References:
ITAA 160X;
160V;
160ZX(1)(a);
160ZX(2)(b)
Date: | Version: | Change: | |
11 March 1993 | Original ruling | ||
You are here | 28 September 2005 | Withdrawn |
Copyright notice
© Australian Taxation Office for the Commonwealth of Australia
You are free to copy, adapt, modify, transmit and distribute material on this website as you wish (but not in any way that suggests the ATO or the Commonwealth endorses you or any of your services or products).